Florida Statutes 501.701 short title + 501.702 definitions + 501.703 applicability + 501.704 exemptions. APPLICABILITY THRESHOLDS (NARROW + BIG TECH-FOCUSED): controllers that (a) conduct business in Florida + collect or process Florida consumer personal data + (b) make in excess of USD 1 BILLION in GLOBAL gross annual revenue + (c) satisfy AT LEAST ONE of: (i) derive 50% or more of global gross annual revenue from sale of advertisements ONLINE; OR (ii) operate a consumer SMART SPEAKER AND VOICE COMMAND COMPONENT SERVICE with integrated virtual assistant connected to a cloud computing service; OR (iii) operate an APP STORE or DIGITAL DISTRIBUTION PLATFORM offering at least 250,000 different software applications. KEY DEFINITIONS: CONSUMER = Florida resident acting in individual / household capacity (excluding employee + B2B contexts); CONTROLLER + PROCESSOR per GDPR-style roles; PERSONAL DATA = information linked or reasonably linkable to an identified or identifiable individual; SENSITIVE DATA = race + ethnicity + religion + mental/physical health diagnosis + sex life + sexual orientation + citizenship/immigration status + genetic/biometric data for unique identification + precise geolocation + children data (under 18); CHILD = individual under 18 (more protective than COPPA which uses under 13); GOVERNMENTAL ENTITY = state + local + tribal government bodies. EXEMPTIONS: state + local government entities + non-profits + HIPAA + GLBA + FERPA + FCRA + DPPA covered entities at the data-set level + employment + B2B data.
The graph holds this control, the 0 it maps to, and the evidence behind each claim, over MCP and REST.