Attachment 2a. Public Comments
Comment 1
I oppose
utilizing automated collection techniques or the use of other forms
of information technology in conducting this outreach if the
technology includes planting cookies on the unsuspecting respondent’s
electronic devices. By allowing third-party applications to conduct
the outreach, it is highly likely the application makes money by
planting surveillance cookies on the users’ devices or
utilizing other surveillance technologies. Thus, an LGBTQ respondent
could be subject to illicit surveillance from the third party for all
kinds of personal and sensitive data.
This use of
third-party applications and cookies can have an extra traumatizing
affect on the LGBTQ community. LGBTQ members often suffer
discrimination, which leads many to hide their sexual orientation. By
allowing surveillance tracking cookies when collecting data—such
as Google Analytics—the government may inadvertently lead to
the disclosure of one’s sexual identity. Google Analytics is a
massive surveillance system that tracks computer users’ visits
on various websites and combines this information to form detailed
profiles of U.S. citizens. For example, the Regulations.gov website
attempted to plant a Google Analytics cookie onto this internet
browser on April 16, 2023.
Thus, the safest and most
secure process for the CDC to collect information and process this
information would be to utilize paper, hard copy forms in the local
agencies that process the claims. If this is not possible, there
should not be a massive nationwide online database accessible to many
parties. This information should be broken up into many smaller
databases, potentially by state, to minimize those with authorized
access and the risk of a data breach. A potential improvement to this
challenge would be for the government to create its own technology
platform that does not plant any cookies on the user’s device
and to refrain from utilizing Google Analytics. Perhaps this type of
platform already exists or could be created and utilized for a
variety of programs.
In summary, I oppose the use of
automated collection techniques or other surveillance forms of
information technology that may be utilized by the CDC’s
project. Modifications to improve this proposal, as noted above, are
likely to greatly improve the potential impact on any LGBTQ community
members who may become involved.
Comment 2
Thank you for the
opportunity to comment on such an important issue.
In
order to reduce inequity across the CDC’s programs from
discrimination based on sexual orientation and gender identity, these
metrics should be completed anonymously. This documentation should be
entirely voluntary and should provide participants with the ability
to write in the sexual orientation and gender identity they identify
with. Some LGBTQ members may consider their gender to be fluid and
prefer to utilize multiple categories in its description, which
should be permitted.
LGBTQ members play a prominent role
in the United States and are especially at risk for privacy and
security concerns brought on by collecting massive government
databases singling them out for their sexual orientation or gender
identification. This type of questioning may expose LGBTQ members to
further bias and discrimination.
“Function creep”
occurs when data is collected for one reason and can then be utilized
for other, non-intended purposes. By collecting sexual orientation
and gender-identifying data here, LGBTQ members are at risk that this
data may be utilized for purposes far beyond the originally stated
function.
While the Supreme Court’s ruling in
Bostock provides some protection for LGBTQ members from employment
discrimination at the federal level, other forms of discrimination
are still legal depending on the state. In States where LGBTQ
discrimination is legal—like Idaho—sensitive inferences
about sexuality can have drastic effects on one’s housing,
social environment, and other areas of everyday life. Regardless of
the state an individual currently resides in, this data collection
could significantly impact their lives in the future. Moreover, LGBTQ
members have a right to privacy, as implied by the
Constitution.
Thus, by only collecting data anonymously,
the Center can minimize discrimination based on sexual orientation
and gender identity for those who voluntarily disclose such status,
without subjecting LGBTQ members to additional risks. This would
likely have a neutral impact on the LGBTQ community. Therefore, I
would only support this data collection, under the above
circumstances.
CDC Response: These comments were submitted anonymously so there was no contact information available.
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Taylor, Jocelyn (CDC/DDID/NCHHSTP/DHP) |
File Modified | 0000-00-00 |
File Created | 2023-09-01 |