Biometrica | Florida Digital Bill of Rights (FDBR) Compliance Statement
Version: March 2025
Applicability
This statement outlines Biometrica Systems, Inc.’s compliance with the Florida Digital Bill of Rights (FDBR), effective July 1, 2024.
The FDBR:
- Applies primarily to controllers with over $1 billion in annual revenue who operate search engines, online platforms, or data broker businesses.
- Exempts:
- State and local government agencies, including law enforcement agencies and their business associates.
- Personal data contained in lawfully made available public records.
- Personal data subject to:
- Fair Credit Reporting Act (FCRA) — Biometrica’s eMotive solution is fully FCRA-compliant.
- Health Insurance Portability and Accountability Act (HIPAA)
- Family Educational Rights and Privacy Act (FERPA)
- Driver’s Privacy Protection Act (DPPA)
- Gramm-Leach-Bliley Act (GLBA)
Since Biometrica solely contracts with law enforcement, public safety, and public sector clients and does not meet the revenue or business model thresholds of FDBR’s controller definition, most FDBR provisions do not directly apply.
About Biometrica
Biometrica is a public safety technology company focused on protecting people without mass surveillance or biometric data, including and not limited to biometric templates and biometric identifiers’ access, transmission, retention, or storage.
We therefore have no biometric gallery.
Our systems include:
- UMbRA — A 100% law enforcement-sourced database containing charge/booking data, criminal records, warrants, sex offender data, probation/parole status, and non-searchable missing persons records used solely for public safety and investigative matching. Direct UMbRA access is only available to credentialed law enforcement and quasi-law enforcement personnel.
- RTIS & RVIS — Real-time Threat and Victim Identification Systems (RTIS & RVIS) designed to identify and locate law enforcement-verified threats or victims, or persons trespassed from a facility in real-time without retaining video, audio, or biometric data.
- QAPLA — Face verification and similarity scoring tool available to credentialed law enforcement or approved users.
- eMotive — Continuous, FCRA-compliant criminal background check solution requiring explicit employee consent.
Facial Recognition Technology — Privacy by Design
Biometrica is not a facial recognition company.
- All biometric comparisons are conducted by an independent, third-party, NIST-evaluated and approved provider operating within a secure and strictly isolated black box environment.
- Biometrica does not access, transmit, store, or retain:
- Faceprints
- Biometric identifiers
- Other biometric templates (including but not limited to faceprints)
- Associated metadata from biometric comparisons
- We have no biometric gallery.
Biometrica only receives numerical match IDs for human verification.
Biometrica staff do not:
- Access search queries within UMbRA
- Access match queries performed via QAPLA
- Access employee background monitoring records via eMotive
Only Biometrica’s Rapid Action Center (RAC) can see and send out RTIS/RVIS alerts, and that, only after verification by a human trained in facial identification, has confirmed an algorithmic match and validated it for relevance.
Use of Location Data Under FDBR
RTIS and RVIS may incorporate general location information strictly for:
- Public safety
- Criminal investigations
- Missing persons recovery
Location data is:
- Used solely for investigatory and security purposes.
- Not used for tracking, profiling, or targeted advertising.
Compliance with the Florida Digital Bill of Rights (FDBR)
Biometrica:
- Does not currently meet the $1B revenue/controller threshold.
- Does not engage in online advertising, social media, or data brokerage.
- Does not sell personal data.
- Processes data solely for lawful, legitimate public safety purposes.
- Applies privacy-by-design and data minimization principles.
Data Subject Rights Under FDBR
Florida residents may:
- Request access, correction, or deletion of personal data under the FDBR.
However:
- UMbRA’s records are publicly available government records, exempt from FDBR rights.
- UMbRA access is strictly limited to trained and credentialed law enforcement personnel.
- Biometrica cannot alter, correct, or delete law enforcement-provided data.
Requests must be directed to the originating law enforcement agency.
Data Minimization and Privacy Safeguards
Biometrica enforces:
- Data minimization: Only necessary data is collected and processed.
- Purpose limitation: Processing is restricted solely to public safety and missing persons objectives.
- No mass surveillance: No video footage or indiscriminate collection.
- Relevance-based alerts: Only alerts relevant to an organization’s lawful mission and legally permissible use are generated.
- Human-in-the-loop: Every actionable alert undergoes trained human verification.
- Immutable audit trails: All actions are logged for auditing and compliance.
Contact
Questions may be directed to:
privacy@biometrica.com
Version Control
Last Updated: March 2025
Next Scheduled Review: March 2026 or earlier if required.
Version Control:
This policy is part of Biometrica’s state privacy and biometric compliance documentation suite.
For full version history and review cycles, refer to the Biometrica Version Control Note [link TBD – do we need this?].
Version Control Notes:
- Each policy reflects Biometrica’s operations as of March 2025.
- Biometrica’s privacy documentation will be reviewed at least annually, and whenever:
- New legislation is enacted or amended.
- Relevant case law, regulatory guidance, or enforcement activity indicates the need for change.
- Biometrica introduces or materially modifies products or services that affect data handling.
- Previous versions will be archived and available internally for audit and compliance purposes.