If you are familiar with Cookie European Law you surely realized that the statement which appears on all ours Ning Networks and even in the Ning sites is not compliant with Europeans rules.
Here some rules wich clearly are not respected:
“Accept” and “Reject” buttons are required.
Users need to be able to make any granular choice as to the functionalities, the third parties and the categories of cookies to be installed (the implementation details are left to the service provider on purpose, while the guidelines suggest that allowing user choices by grouping is considered a way to achieve the goal).
Users must be able to access and edit their tracking preferences at any time after setting their initial preferences.
Collection of consent
Consent by simple scrolling is no longer valid.
Cookie walls are not admitted.
Validity period of users’ consent preferences: after requesting consent the first time, at least 6 months must have passed before users can be asked again to give consent.
Analytics cookies
First-party analytics cookies may be placed without collecting users’ consent (and prior blocking).
Third-party analytics cookies may be placed without collecting users’ consent (and prior blocking) only under certain conditions.
Proof of consent: you need to prove that you have obtained valid consent according to the standards of the GDPR.
Legal grounds other than users’ consent: legitimate interest never constitutes a valid legal basis.
I may accept that those rules might not be respected when I visit Ning sites like the istitutional and creator site,
But I can't accept that I'm force to use their statements into my Ning networks and not able to use some Cookie Solutions provided from others web players like CookieBot, Iubenda and so on
Replies