Reference-data recipient responsible for local matching, review and content action
StopNCII recipient platform — role
A StopNCII recipient platform is an organisation admitted to receive the programme's reference information and compare it with content on its own service. This abstract role covers the recipient's technical integration and policy decisions, rather than identifying a particular customer or a holder of programme voting rights.
Access, updates and continuing policy decisions
The January 2026 privacy notice says case information is shared with current and future participating platforms and users cannot select recipients. The API describes status changes, provider feedback and withdrawal of a provider's own submissions. Delayed retrieval can miss some deletion markers, making integration behaviour consequential. Posted partner terms restrict credentials and redistribution and describe security and reporting duties, although the public text contains unfinished clauses. A platform may continue removing independently policy-violating content after case withdrawal; withdrawal is therefore not a blanket promise of restoration.
specifies scoped incident and implementation reporting
Credential compromise notice24hours; schedule general incidents48hours; annual summaries within60days of anniversary. Security assessments/caching/incremental retrieval described. [30]implementation and [5]termination certification periods remain unfinished, not settled clocks.
restricts credentials, redistribution and model training
Personal organizational credentials/no third-party sharing; redistribution/resale prohibited. Training exception is strictly for implementing agreed purpose on partner platform. Purpose comes from not obtained DSA; neither total training ban nor general training/data licence.
retains its own policy assessment and continuing-removal basis
Six-step guide conditions removal on platform intimate-image-abuse policy. Privacy preserves continued removal of policy-violating content after withdrawal, not a proved right to retain withdrawn reference unchanged or promise of restoration.
reserves vetting, reverification and access-suspension powers
Posted criteria cover need, security, implementation, compliance and reputational/ethical/legal risk; sole-discretion/no-reasons refusal and continued eligibility review. Not an actual refusal, signed contract or unlimited lawful discretion.
Approved Participant access route → StopNCII recipient platform — role
publishes revenue-tier annual GBP access fees
New business£1000;below£10m£4000;£10–249m£8000;£250–499m£12000;£500–999m£16000;over£1bn£20000. Exact endpoint/intervening-band treatment unclarified. Schedule is not receipts or universal historical partner payment.
StopNCII reference/status dataset → StopNCII recipient platform — role
documents status changes and limited deletion-marker availability
Recipients are asked to record status changes; delayed pagination can miss deleted records. Printed6and15wording must not become one tested universal deletion clock. No downstream restored-item trace acquired.
requires cessation and deletion on partner termination
Termination grounds depend on not obtained DSA; cessation/destruction/certification specified with unfinished [5]business-day number. Separate from public-user hash withdrawal or restoration of content.
StopNCII recipient platform — role → StopNCII reference/status dataset
can contribute and withdraw its own submissions in the documented interface
API documents provider feedback replacement/removal, timestamps and own-submission withdrawal. Batch management expressly unimplemented; text/URLexamples are not observed censorship records.
Six-step guide conditions removal on platform intimate-image-abuse policy. Privacy preserves continued removal of policy-violating content after withdrawal, not a proved right to retain withdrawn reference unchanged or promise of restoration.
API documents provider feedback replacement/removal, timestamps and own-submission withdrawal. Batch management expressly unimplemented; text/URLexamples are not observed censorship records.
Recipients are asked to record status changes; delayed pagination can miss deleted records. Printed6and15wording must not become one tested universal deletion clock. No downstream restored-item trace acquired.
New business£1000;below£10m£4000;£10–249m£8000;£250–499m£12000;£500–999m£16000;over£1bn£20000. Exact endpoint/intervening-band treatment unclarified. Schedule is not receipts or universal historical partner payment.
Same displayed bands:£1000/10000/20000/30000/40000/50000. Published prices, not invoices, donations received or purchased policy votes; generic posted terms instead carry lower scale.
Posted criteria cover need, security, implementation, compliance and reputational/ethical/legal risk; sole-discretion/no-reasons refusal and continued eligibility review. Not an actual refusal, signed contract or unlimited lawful discretion.
Personal organizational credentials/no third-party sharing; redistribution/resale prohibited. Training exception is strictly for implementing agreed purpose on partner platform. Purpose comes from not obtained DSA; neither total training ban nor general training/data licence.
Credential compromise notice24hours; schedule general incidents48hours; annual summaries within60days of anniversary. Security assessments/caching/incremental retrieval described. [30]implementation and [5]termination certification periods remain unfinished, not settled clocks.
Termination grounds depend on not obtained DSA; cessation/destruction/certification specified with unfinished [5]business-day number. Separate from public-user hash withdrawal or restoration of content.