Excerpt. on MySpace CEO Chris DeWolfe presentation. via paidcontent.org: “MySpace has 76 million unique online users in the US, and 139 million users worldwide; 40 percent of all Americans based in the US are on mySpace…MySpace has been working on its monetization technology currently used online called Hypertarget, which is five algorithms that basically segments the “massive amounts of data†on mySpace users into “enthusiast buckets.†Currently, they have their audience divided into over 1,000 of these segments, and for example, if Pepsi wants to target alternative music users they can serve them up an ad. Said DeWolfe, “It’s incredibly effective, and increases our yields.†This will be moving onto mobile.”
Category: Global Digital Marketing
Center for Democracy & Technology Goes for the “Gold” as it Raises $ for its “Gala” from AT&T, eBay, Microsoft, Google (and many other corporations)
CDT is having a “Gala Celebration” next month, supported by “Gold, Silver, and Bronze” sponsors. AT&T, eBay, Microsoft and Google are listed at the $15,000 “Gold” level [“Two tables in Premium Location-Two tickets to the VIP Reception”]; Among the “Silver” sponsors [“One table-One ticket to the VIP Reception”] at the $7,500 tab include Time Warner (AOL), Dow Lohnes, Qorvis Communications (repping Sun, Cisco, etc), American Express, Verizon, Intel, US Chamber of Commerce, ID Analytics, Yahoo!, Arnold & Porter, IAC/Interactive Corp, Thompson LexisNexis, Hogan & Hartson (reps News Corp’s MySpace, among others), Comcast, and Sonnenschein Nath & Rosenthal, LLP.  There are also a number of “Bronze” sponsor at the $1000 level [“One seat at a table”]. (CDT has a Facebook page on the event.)
CDT’s 2007 Gala, which honored Bill Gates, had “more than 900″ supporters” in attendance.
Facebook, Advertising, Third-Party $Apps, Terms of Service, Data Collection & Privacy
The role that third party developers play accessing user data on social networks such as Facebook has long been a privacy concern for us. The business practices, including data collection, profiling and targeting that form the basis of social networking “monetization†strategies are hidden from public view. My CDD and USPIRG, in our various privacy complaints to the FTC, asked the agency to examine this area. Maybe the new Obama FTC will do so. But for now, here’s some excerpts from Facebook’s advice “on common business models†to application developers, as well as from its list of “third party developers†involved in social media marketing:
“As you think about building your app on Facebook, we want to help by highlighting some keys ways of thinking about your app as a business… Apps that are meaningful, trustworthy and well designed have real staying – and monetizing – power… we host a Platform with instant access to more than 175 million active users… Once you’ve created a sustainable, engaging social application, there are many different ways to help monetize it… Advertising: We at Facebook have had success serving targeted advertisements to our users based on information we know about them. By leveraging the data we give you access to (as detailed in our Developer Terms of Service) and data users share with you directly as a part of your application experience, you can serve highly relevant ads… Virtual Credits / Virtual Goods:… instead of accepting payments directly from users for subscriptions or virtual goods, some applications instead allow users to complete affiliate offers by filling out surveys or agreeing to try new products. There are a number of providers who consolidate these types of offers…
Third Party Providers to Help You Monetize:
Advertising:
AdParlor: “Over 500 Million users worldwide are on a social networking site. These users are comfortable sharing their age, gender, and location, and can be reached through targeted advertising.â€â€¦
Shopitmedia: “you can target based on:
1. Location
2. Gender
3. Age
4. Application Categoryâ€â€¦
Affiliate marketing…
Analytics…
Payments
Two Words on Why the FTC’s Self-Reg Approach is Wrong: Financial Meltdown
It has been deregulation, including forms of self-regulation, which led to the current financial crisis. Regulators and most policymakers looked the other way, while many from the investment community created a Ponzi scheme bigger than Bernie Madoff’s. The online marketing of mortgages and loans played a role in the `borrow’ and `buy’ culture which contributed to the economic mess we are in.
It’s now more important than ever that online marketing, including the structure of data collection and privacy, be regulated. Congress has to act to make sure consumers understand the loans and other financial products they are being offered interactively online. The financial crisis, noted Google, is actually fostering the growth of online marketing (as consumers look for less expensive ways to shop).  As Google recently explained to advertisers, the “slowdown is actually accelerating the use of consumer online shopping for goods and services.â€Â The “mass market is now online,†they noted.
Consumers need to completely understand and fully control how data is collected and used when they seek financial services. The behavioral targeting system involved with mortgage loan sales, we believe, is totally unknown to consumers (and sadly, regulators). That’s why my group and others criticized last week’s FTC report. It’s self-regulatory approach is based on a failed policy (from the people on both sides of the aisle who got us into this mess). We can have both regulation/fair rules and make the commercial market prosper. It’s time for the online ad industry to support a regulatory policy that will help make our financial future more secure.
Baby Steps for Online Privacy: Why the FTC Self-Regulatory Principles For Online Behavioral Advertising Fails to Protect the Public
Statement of Jeff Chester, Exec. Director, Center for Digital Democracy:
The Federal Trade Commission is supposed to serve as the nation’s leading consumer protection agency. But for too long it has buried its mandate in the `digital’ sand, as far as ensuring U.S. consumer privacy is protected online.   The commission embraced a narrow intellectual framework as it examined online marketing and data collection for this proceeding. Since 2001, the Bush FTC has made industry self-regulation for privacy and online marketing the only acceptable approach when considering any policy safeguards (although the Clinton FTC was also inadequate in this regard as well). Consequently, FTC staff—placed in a sort of intellectual straitjacket—was hampered in their efforts to propose meaningful safeguards.
Advertisers and marketers have developed an array of sophisticated and ever-evolving data collection and profiling applications, honed from the latest developments in such fields as semantics, artificial intelligence, auction theory, social network analysis, data-mining, and statistical modeling. Unknown to many members of the public, a vast commercial surveillance system is at the core of most search engines, online video channels, videogames, mobile services and social networks. We are being digitally shadowed across the online medium, our actions monitored and analyzed.
Behavioral targeting (BT), the online marketing technique that analyzes how an individual user acts online so they can be sent more precise marketing messages, is just one tool in the interactive advertisers’ arsenal. Today, we are witnessing a dramatic growth in the capabilities of marketers to track and assess our activities and communication habits on the Internet. Social media monitoring, so-called “rich-media†immersive marketing, new forms of viral and virtual advertising and product placement, and a renewed interest (and growing investment in) neuromarketing, all contribute to the panoply of approaches that also includes BT. Behavioral targeting itself has also grown more complex. That modest little “cookie†data file on our browsers, which created the potential for behavioral ads, now permits a more diverse set of approaches for delivering targeted advertising.
We don’t believe that the FTC has sufficiently analyzed the current state of interactive marketing and data collection. Otherwise, it would have been able to articulate a better definition of behavioral targeting that would illustrate why legislative safeguards are now required. It should have not exempted “First Party†sites from the Principles; users need to know and approve what kinds of data collection for targeting are being done at that specific online location.
The commission should have created specific policies for so-called sensitive data, especially in the financial, health, and children/adolescent area. By urging a conversation between industry and consumer groups to “develop more specific standards,†the commission has effectively and needlessly delayed the enactment of meaningful safeguards.
On the positive side, the FTC has finally recognized that given today’s contemporary marketing practices, the distinction between so-called personally identifiable information (PII) and non-PII is no longer relevant. The commission is finally catching up with the work of the Article 29 Working Party in the EU (the organization of privacy commissioners from member states), which has made significant advances in this area.
We acknowledge that many on the FTC staff worked diligently to develop these principles. We personally thank them for their commitment to the public interest. Both Commissioners Leibowitz and Harbour played especially critical roles by supporting a serious examination of these issues. We urge everyone to review their separate statements issued today. Today’s release of the privacy principles continues the conversation. But meaningful action is required. We cannot leave the American public—now pressed by all manner of financial and other pressures—to remain vulnerable to the data collection and targeting lures of interactive marketing.
Using Mobile to Target a Billion People in “Developing World” with Advertising, including the “illiterate” [Annals of Global Mobile Marketing]
A good example about why mobile marketing and consumer protection should be high on the agenda of policymakers and advocates around the world. Excerpt from article on the Chair of the Mobile Marketing Association (and also a mobile ad company executive):
“Russell Buckley believes he can help advertisers reach a billion new consumers in the developing world….as chairman of the Mobile Marketing Association, Buckley has seen this emerging audience in Asia Pacific, India and South America…those billion people are waiting to be tapped… “Mobile is a big opportunity because these people don’t consume any other media. They’re probably illiterate, they don’t have access to TV, the internet or radios, but they do have access to mobiles and this is where the next billion customers will come.”
source: Profile: Russell Buckley, AdMob. Alex Farber. New Media Age. February 5, 2009 [sub. required]
Facebook researching “sentiment” engine: “looking to figure out if people are having a good day or bad day”
Via scobleizer.com [excerpt from interview with Facebook CEO Mark Zuckerberg. My bold]:
Facebook is, he told me, studying “sentiment†behavior. It hasn’t yet used that research in its public service yet, but is looking to figure out if people are having a good day or bad day. He said that already his teams are able to sense when nasty news, like stock prices are headed down, is underway. He also told me that the sentiment engine notices a lot of “going out†kinds of messages on Friday afternoon and then notices a lot of “hungover†messages on Saturday morning. He’s not sure where that research will lead. We talked about how sentiment analysis might lead to a new kind of news display in Facebook. Knowing whether a story is positive or negative would let Facebook pick a good selection of both kinds of news, or maybe even let you choose whether you want to see only “happy†news.”Â
source: Zuckerberg: Facebook’s “intense†year. scobleizer.com
Digital Marketing of Toys to Children Reflects Seamless Merging of Online & Online, inc. Play
Here’s a telling comment via a senior Disney executive:
“Disney says it sees online as a vital part of its strategy to turn its very well-known brand name into greater market share by making itself more relevant than ever to both children and parents…”That’s why [says Edward Catchpole, senior European VP for toys, Disney] all the sites we operate for our brands are not extensions, they’re seamless integrations, part of owning that toy, part of the play pattern. A young girl will run around pretending to be a fairy, then play with a toy and then go online and immerse themselves in a virtual world at one of our communities, like Pixie Hollow or Club Penguin. We also have a social network based around [Disney/Pixar movie] Cars in the US, which tends to be used more by boys,” Catchpole adds.”
source: Vertical Focus: Toy retailing. Sean Hargrave. New Media Age [UK]. November 27, 2008 [sub required]
Google’s Mobile Targeting: Encourage More Searches, Location Targeting
Not enough is known about Google’s mobile plans. Here’s an excerpt from New Media Age [UK] magazine from May 2008:
“Google is tweaking its mobile offering to encourage people to perform more searches. It has also increased the options available to advertisers by launching mobile image ads. These are keyword-targeted, priced on a cost-per-click (CPC) basis, and must link to a mobile web page. Google will only show one image ad per page, and lets publishers choose to show text ads, image ads or a mix.
Christian Hernandez Gallardo, head of distribution partnerships for Google, says there’s increased demand from publishers…He expects that advertising will be a key component to raising awareness and says many big content providers are already reaping the benefits of this approach. “They’re buying a lot of keywords and ads on Google to drive traffic.”
Another key ingredient for Google is location, which could lead to a further inventory opportunity on which advertisers could bid for prime position. “If you search for ‘pizza London’, we’ll capture that as your location and use it as a weight to your searches,” Gallardo says.”
source: Search Pattern. Peggy Anne Salz. NMA Magazine. May 8, 2008
The Interactive Advertising Bureau’s Official Definition of Behavioral Targeting
As the debate on privacy, consumer protection, and online marketing is renewed, it may be useful to see how the interactive ad industry classifies its practices. Here is the definition of behavioral targeting from the IAB’s own glossary of terms. My bold:
“Behavioral Targeting-
A technique used by online publishers and advertisers to increase the effectiveness of their campaigns. Behavioral targeting uses information collected on an individual’s web browsing behavior such as the pages they have visited or the searches they have made to select which advertisements to be displayed to that individual. Practitioners believe this helps them deliver their online advertisements to the users who are most likely to be influenced by them.”
Here are a few other terms used by the IAB that illustrate some of the the online ad industry’s data collection and targeting process:
“Click-stream –
1) the electronic path a user takes while navigating from site to site, and from page to page within a site; 2) a comprehensive body of data describing the sequence of activity between a user’s browser and any other Internet resource, such as a Web site or third party ad server.
Heuristic –
a way to measure a user’s unique identity. This measure uses deduction or inference based on a rule or algorithm which is valid for that server. For example, the combination of IP address and user agent can be used to identify a user in some cases. If a server receives a new request from the same client within 30 minutes, it is inferred that a new request comes from the same user and the time since the last page request was spent viewing the last page. Also referred to as an inference.
Profiling –
the practice of tracking information about consumers’ interests by monitoring their movements online. This can be done without using any personal information, but simply by analyzing the content, URL’s, and other information about a user’s browsing path/click-stream.
Unique user –
unique individual or browser which has either accessed a site (see unique visitor) or which has been served unique content and/or ads such as e-mail, newsletters, interstitials and pop-under ads. Unique users can be identified by user registration or cookies. Reported unique users should filter out bots. See iab.net for ad campaign measurement guidelines
Web beacon –
a line of code which is used by a Web site or third party ad server to track a user’s activity, such as a registration or conversion. A Web beacon is often invisible because it is only 1 x 1 pixel in size with no color. Also known as Web bug, 1 by 1 GIF, invisible GIF and tracker GIF.