Response to BBFC Age Verification Consultation

ORG's response to the BBFC's April 2018 consultation on their age verification guidelines under the Digital Economy Act.


On the 23rd April 2018, the British Board of Film Classification (BBFC) closed their consultation on their age verification guidelines for online pornography. The consultation called for the public’s views on the guidance that the BBFC plan to issue to the providers of age verification tools.

Under the Digital Economy Act, websites will soon have to ensure that all UK users are above the age of 18 before allowing them to view pornographic content. As the age verification regulator, it is the BBFC’s job to dictate how these age verification systems should work.

Open Rights Group submitted a response and highlighted a number of issues with the proposed age verification system. The full response can be downloaded from this page.

In this consultation response, we raised a number of concerns with age verification systems. Most notably, we suggested that:

  • The aim of age verification is defined as being for the “protection of children”, however, under scrutiny, it is clear that the scheme will be unable to achieve this aim.
  • This consultation indicates that the BBFC intend to consider material which ought to be out-of-scope for an age verification system, such as extreme pornography and child abuse material.
  • The BBFC also indicate that they intend to consider the effectiveness of a response to a non-compliant person before issuing it, but do not indicate an intent to consider the proportionality of that response.
  • The scheme as a whole lacks any specific and higher level of privacy protection, despite the existence of unique problems. In particular, any data breaches cannot be properly compensated for in terms of reputational, career and relationship consequences.
  • The scheme risks infringing free expression rights by granting the BBFC web blocking powers.
  • The ability of the BBFC to give notice to ancillary service providers creates legal uncertainty and incentivises disproportionate actions on non-UK persons.
  • As a whole, the age verification scheme fails to understand the limitations faced by the BBFC in terms of regulating overseas providers in a fair and proportionate manner.

The full PDF response can be downloaded here.