WritingOpenAIOpenAIpublished Jun 2, 2026seen 6d

Advancing youth safety and opportunity through global leadership

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Advancing youth safety and opportunity through global leadership \| OpenAI

June 2, 2026

Global Affairs Safety

Advancing youth safety and opportunity through global leadership

OpenAI calls for global action on youth AI safety through a dedicated AI Safety Institute

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AI can be a powerful tool for young people. It can help students understand a difficult concept, practice a new language, prepare for a job interview, explore creative ideas, or learn a new skill. Just as the literacy movement spread across the globe in the middle of the 20th century required mass distribution of printed text and access to trained teachers, today providing access to safe AI will unlock new opportunities for personalized learning, help reduce barriers for the underserved, and increase workforce readiness.

Because the potential benefits are so significant, it is essential that young people can access AI in ways that are safe, age-appropriate, and supportive of healthy development. That responsibility should not fall primarily on parents or young people themselves. Companies, including OpenAI, have a responsibility to build products with appropriate safeguards by default, while empowering families with tools and information to guide how AI is used.

When Heads of State gather at the G7 Leaders’ Summit in Évian, France, later this month, the topic of youth AI safety will be a key focus. OpenAI will join to discuss greater collaboration on youth safety, how we can work together to raise industry standards, and OpenAI's new call for an international youth safety institute to be established.

The G7 Leaders’ Summit represents a rare opportunity for global coordination on youth safety. But a dedicated institute would provide the continuity and follow-through needed beyond a single summit, helping governments, researchers, civil society, and industry keep working together to share evidence, develop guidance, and raise standards over time.

There are several credible ways this could be done: through a new international institute, or by giving an existing or newly established national AI institute a global mandate to share research, evidence, and guidance with partners around the world. What matters most is the function it serves. Youth AI safety needs sustained attention, trusted evidence, and practical guidance that can keep pace with the technology.

Such an institute can build on emerging initiatives such as Common Sense Media’s Youth AI Safety Institute, supported by the OpenAI Foundation, as well as practical collaborations with educators, including OpenAI’s work with the American Federation of Teachers⁠. It should also draw on real-world deployments, such as Estonia’s national ChatGPT rollout in schools, where OpenAI is working with Stanford and Estonian researchers to study impact and inform safer, more effective use in learning.

OpenAI welcomes the opportunity to work with the French Government, other G7 governments, and partners across civil society, academia, and industry on this vital work and to raise global standards on youth safety.

Setting a global standard on youth AI safety

We believe strong AI youth safety frameworks, including any potential agreement reached at G7 convenings, should be led by principles that we are setting out here.

1. Companies should know when a user is a minor and apply age-appropriate protections. This means requiring providers to use means such as effective, privacy-preserving age estimation to distinguish minors from adults, and defaulting to protective safeguards when a user’s age cannot be determined. Without this foundation, even the most well-intended youth protections may fail to reach the young people they are intended to protect. 2. Companies should regularly assess both risks and benefits for young people and take steps to address them— _before_ harm occurs. This means requiring providers to complete annual youth safety risk assessments and implement proportionate safeguards based on the risks they identify. Such assessments should consider risks to young people based on their developmental stage, empirical evidence from actual use, and relevant research or regulatory guidance. Assessments should consider not only potential harms, but also whether AI is supporting positive outcomes such as learning, creativity, skill development, and access to opportunity. 3. Parents and guardians should have accessible, easy-to-use controls to help them guide their children’s experiences while supporting age-appropriate independence. These should include tools to manage key settings, including memory, data use, and time limits. Parental tools should be actively promoted so parents know they exist and understand how to use them. 4. Families deserve clear, understandable information about how companies are protecting young users and provide meaningful information about both the benefits and risks of AI use by young people. Companies should publish safety policies that explain what safeguards are in place to protect young people, parental tools available, and how protections are updated as risks evolve. This transparency builds trust and helps parents make informed choices. 5. Companies should have clear protocols in place to address serious safety situations including self-harm, exploitation, grooming, sexually exploitative content, and other high-risk interactions. These should include in-service support, referrals to appropriate resources, and timely parental notifications when appropriate. Companies should also design their systems to prevent them from generating content that is unsafe or developmentally inappropriate for kids, including graphic sexual or violent material. 6. AI systems used by young people should be designed to support learning, development, and real-world relationships—not replace them. AI should serve as a tool that helps young people learn, create, build skills, and prepare for the future. At the same time, companies should establish clear boundaries in areas where healthy development depends on human judgment, real-world relationships, and professional support. 7. The personal information of minors should be protected. This means prohibiting privacy-invasive, targeted advertising to young people, and barring companies from selling personal information. 8.…

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Notability

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Policy blog post, not technical.