Chrome extensions have access to sensitive browser data that ordinary websites cannot access โ browsing history, tab contents, form data, and network requests. The Chrome Web Store requires a detailed privacy policy and prohibits collecting more data than necessary for the extension's core functionality. Any data transmitted to remote servers must be explicitly disclosed, and many categories of browser data collection require prominent disclosure even within the privacy policy. India's Digital Personal Data Protection Act (DPDPA) 2023 is India's first comprehensive data protection law.
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India's Digital Personal Data Protection Act (DPDPA) 2023 is India's first comprehensive data protection law. It applies to processing of digital personal data within India and to processing outside India if it involves offering goods or services to individuals in India. Significant Data Fiduciaries face enhanced obligations, and the Data Protection Board can impose fines up to โน250 crore.
Chrome extensions have access to sensitive browser data that ordinary websites cannot access โ browsing history, tab contents, form data, and network requests. The Chrome Web Store requires a detailed privacy policy and prohibits collecting more data than necessary for the extension's core functionality. Any data transmitted to remote servers must be explicitly disclosed, and many categories of browser data collection require prominent disclosure even within the privacy policy.
Data typically collected by Chrome Extension businesses: browsing history (if accessed), tab URLs and content (if accessed), form data (if accessed), browser cookies accessed by the extension, network request data, user settings and preferences
A Cookie Policy is best practice for DPDPA, even if not strictly mandated. It demonstrates transparency and builds user trust. For Chrome Extension businesses using analytics or advertising tools, it is strongly recommended.
A typical Chrome 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 DPDPA, a Cookie Policy alone is not sufficient. A consent mechanism is recommended for analytics and marketing cookies to align with global privacy best practices.