Twitch bots and extensions have access to chat messages, viewer lists, subscription data, and channel analytics through Twitch's API and IRC interface. Extensions that overlay on stream can access viewer location and device data. Twitch's Developer Agreement requires a privacy policy for all extensions and bots that collect user data, and COPPA compliance is critical given Twitch's younger audience demographic. Australia's Privacy Act 1988 and its 13 Australian Privacy Principles (APPs) regulate how organizations with annual turnover over AUD $3 million collect, use, and disclose personal information.
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Australia's Privacy Act 1988 and its 13 Australian Privacy Principles (APPs) regulate how organizations with annual turnover over AUD $3 million collect, use, and disclose personal information. The OAIC (Office of the Australian Information Commissioner) enforces the law and can issue fines up to AUD $50 million for serious and repeated breaches.
A Cookie Policy for Twitch Bot / Extension businesses must specifically address the following considerations that are unique to this industry. Unlike generic templates, your policy needs to reflect how twitch bot / extension businesses actually collect and process data.
Data typically collected by Twitch Bot / Extension businesses: Twitch usernames and user IDs, chat messages and commands, channel subscription status, viewer count and activity data, bits and donation data, extension overlay interaction data, broadcaster channel configuration
A Cookie Policy is best practice for Australian Privacy Act, even if not strictly mandated. It demonstrates transparency and builds user trust. For Twitch Bot / Extension businesses using analytics or advertising tools, it is strongly recommended.
A typical Twitch Bot / Extension website uses: essential session cookies, analytics cookies (Google Analytics, etc.), functional preference cookies, and marketing/advertising cookies if you run paid campaigns. Each type must be disclosed in your Cookie Policy with its purpose.
Under Australian Privacy Act, a Cookie Policy alone is not sufficient. A consent mechanism is recommended for analytics and marketing cookies to align with global privacy best practices.