Privacy Policy
Last Updated: March 17, 2026 — Version 1.0
Executive Summary — Plain Language Overview
This summary highlights our most important data practices. Please read the full policy below for complete details.
What we collect
Account info, content you post, usage data, device data, location (if permitted), and data from third-party integrations. Full details in Section 2.
Do we sell your data?
No. We do not sell your personal information to third parties.
Do we share your data?
Yes — with service providers (hosting, analytics, moderation), and as required by law. We do not share with advertisers without your consent.
Your key rights
Access, correct, delete, and port your data. Full details in Section 12.
How to delete your account
Go to Settings > Account > Delete Account inside the app. All data deleted within 90 days.
Minimum age
13 globally (16 in EEA/UK; 14 in Quebec for enhanced consent). We do not knowingly collect data from children below the applicable minimum age.
Questions?
Contact our Privacy Officer at privacy@hopenapp.com or our DPO (EEA/UK) at dpo@hopenapp.com.
1. About This Policy
Hopen Technologies Inc. ("Hopen", "we", "us", or "our") is committed to protecting your privacy. This Privacy Policy explains how we collect, use, disclose, and safeguard your personal information when you use the Hopen mobile application and website (hopenapp.com) (collectively, the "Services").
This Policy applies to all users of Hopen worldwide. Jurisdiction-specific provisions that supplement or modify the general terms are set out in Section 15. Where local mandatory law grants you additional rights, those rights are preserved in full.
This Policy should be read alongside our Terms of Service and Community Guidelines, which are incorporated by reference.
2. Information We Collect
We collect the following categories of personal information. This table also serves as our Notice at Collection as required under the California Consumer Privacy Act (CCPA/CPRA).
CCPA Category
Data Points Collected
Purpose
Third Parties Shared With
A. Identifiers
Name, email, phone number, username, account ID, IP address, device identifiers (IDFA/GAID)
Account creation, authentication, communication
Cloud hosting, customer support, analytics
B. Personal Records
Profile photo, biography, date of birth, country of residence
Profile display, age verification, localization
Content delivery networks, moderation services
C. Protected Characteristics
Age range (inferred or provided); other characteristics only if voluntarily disclosed in profile or content
Age-gating, safety features
Not shared except as required by law
F. Internet / Network Activity
App interactions, feed engagement, dwell time, search history within the app, clickstream data
Performance analytics and safety
Analytics providers
G. Geolocation Data
Approximate location (IP-derived); precise location only if OS-level permission explicitly granted
Localized content and regional trends
Location-based service providers
H. Sensory / Biometric Data
Photos and videos you upload (may contain faces, voice). Facial recognition filters: only if explicitly enabled by you.
Content delivery, optional AR features
Content moderation services; NOT used to build biometric databases without explicit consent
I. Professional / Employment Info
Voluntarily provided in profile (employer, job title)
Profile display only
Not shared
K. Inferences
Behavioral profiles derived from usage (interests, predicted connections, content preferences)
Internal service improvement only
Internal only; aggregated insights may be shared with partners
L. Sensitive Personal Information
Account credentials (hashed), precise location (if permitted), content of direct messages, financial data (if in-app purchases), age-verification telemetry from app stores
Secure access, private communication, payment processing, child safety compliance
Strictly limited to functionally necessary service providers; never sold
Data We Receive From Third Parties
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App store platforms (Apple / Google): age range and parental supervision status for age-verification compliance
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Social login providers (e.g., Apple Sign-In, Google Sign-In): basic profile data if you choose to sign in this way
- User-uploaded contact lists (only if you explicitly grant permission — see Section 7)
3. How We Use Your Information
We use your personal information only for the purposes set out below. We do not repurpose your data for new activities without informing you and, where required, obtaining fresh consent.
Purpose
Data Used
Legal Basis (see Section 4)
Provide and operate the Services
Account data, user content, device info
Contract
Improve and optimize the Services
Aggregated, anonymized usage data
Legitimate interest
Moderate content and enforce safety policies
User content, messages (automated scanning), account data
Legal obligation / Legitimate interest
Detect fraud, abuse, and security threats
IP addresses, login data, behavioral signals, device fingerprints
Legitimate interest / Legal obligation
Communicate with you (service notices, marketing)
Email, phone number, push notification token
Contract / Consent
Process in-app purchases and subscriptions
Payment data, transaction records
Contract / Legal obligation
Comply with legal obligations and law enforcement requests
Any data as required by the applicable legal order
Legal obligation
Improve our Services through analytics and research
Aggregated, anonymized usage data
Legitimate interest
Age verification and child safety compliance
Date of birth, app-store-provided age range, parental consent records
Legal obligation / Legitimate interest
4. Legal Basis for Processing
We process your personal data on the following legal grounds. We apply the most appropriate basis for each specific processing activity as mapped in Section 3.
EEA / UK users: Legitimate interest is never used as a blanket basis for intrusive profiling. We conduct Legitimate Interest Assessments (LIAs) for all activities relying on this basis and these are available on request.
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Contractual necessity: processing required to deliver the Services you have requested (account creation, content delivery, messaging).
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Legitimate interests: processing necessary for our legitimate business interests (fraud prevention, security, improving our Services) where those interests are not overridden by your rights and interests. We carry out a balancing test before relying on this basis.
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Legal obligation: processing required to comply with applicable law, court orders, or regulatory requirements.
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Consent: processing activities where we have asked for and received your clear, affirmative consent (optional features such as precise geolocation, facial recognition filters, contact syncing, and non-essential cookies). You may withdraw consent at any time without penalty via Settings > Privacy or by contacting us.
5. Cookies and Tracking Technologies
We and our partners use cookies, pixels, SDKs, and similar tracking technologies. Non-essential tracking technologies are disabled by default in compliance with confidentiality-by-design requirements. You must opt in to enable them.
Category
Examples
Purpose
Default State
Strictly Necessary
Session cookies, authentication tokens, CSRF protection
Core functionality — cannot be disabled
Always Active
Functional
Language preferences, UI settings, remember-me tokens
Enhanced usability
Opt-In
Analytics
[e.g., Firebase Analytics, Amplitude]
Understand usage patterns, improve the Services
Opt-In
You can manage your cookie and tracking preferences at any time via Settings > Privacy > Cookie Preferences within the app, or via your device's operating system privacy settings. You may select "Reject All" non-essential cookies at any time as easily as you accepted them.
For a full list of our third-party partners and their data practices, please visit our Cookie Policy at [hopenapp.com/cookie-policy].
6. User-Generated Content and Content Moderation
The Hopen platform is built around content you create and share. This section explains how we process that content and your responsibilities as a content creator.
What We Process
Content Type
Data Processing Activities
Legal and Privacy Notes
Photos & Videos
Automated content moderation scanning; metadata extraction (EXIF, timestamp, embedded location); optional facial-recognition AR filters
EXIF geolocation is stripped from publicly visible content. Facial recognition filters require explicit opt-in consent.
Text Posts & Comments
Natural language processing for content moderation; keyword flagging for policy violations
May inadvertently contain Article 9 GDPR special category data (e.g., health, political views). We minimize processing of such data.
Direct Messages (DMs)
Encrypted in transit and at rest. Automated spam and CSAM detection heuristics applied at the system level.
We do not read the content of your private messages for any purpose other than automated safety scanning. Law enforcement requests are handled under Section 9.
Audio & Voice
Voice notes and audio features processed for delivery and optional transcription if feature enabled.
Voice data used for biometric modeling only with explicit, separate consent.
Third-Party Content in Your Uploads
You are solely responsible for obtaining any necessary consent from third parties who appear in content you upload (e.g., photographs of other people). By uploading content containing third-party personal information, you represent that you have the right to do so and that the content complies with our Community Guidelines.
Automated Content Moderation
We use automated tools (including AI-based systems) to detect illegal content, copyright infringement, spam, and Community Guideline violations. If automated moderation results in a decision affecting your account (such as content removal or account restriction), you may request human review by contacting [legals@hopenapp.com].
7. Social Features: Contact Syncing and Friend Discovery
To help you find friends who are already on Hopen, we offer an optional contact syncing feature. This feature is strictly opt-in and governed by your device's operating system permission architecture.
How It Works
Your Controls
- If you grant permission, your device's contact list is temporarily accessed by the app.
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Contact data (phone numbers and email addresses) is converted into one-way cryptographic hashes (SHA-256 or equivalent) before transmission to our servers.
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These hashed values are compared against hashed identifiers of existing Hopen users. Plain-text contact data from non-users is never stored on our servers.
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Matched contacts are shown to you as suggested connections. You control whether to connect with them.
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You can revoke contact syncing permission at any time via your device's OS privacy settings (iOS: Settings > Privacy > Contacts; Android: Settings > Apps > Hopen > Permissions).
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Upon revocation, all synced contact graph data is permanently deleted from our servers within 90 days.
- Disabling this feature does not affect your ability to use any other part of Hopen.
9. Data Sharing and Disclosure
We do not sell your personal information. We may share your data in the following circumstances:
Recipient Category
Nature of Data Shared
Safeguard / Condition
Cloud infrastructure providers
All categories of user data (hosted and processed)
Data Processing Agreements (DPAs) in place; Standard Contractual Clauses for EEA transfers
Analytics service providers
Usage and behavioral data (may be pseudonymized)
Restricted to analytics purposes only; DPAs in place
Content moderation partners
Flagged User-Generated Content
Processing limited to safety purposes; strict confidentiality
Payment processors
Transaction and billing data (in-app purchases)
PCI-DSS compliant; processed under separate data agreements
Law enforcement / regulatory authorities
Any data required by a valid legal order, warrant, or subpoena
We review all requests for legality before complying; we notify users where legally permitted
Business transfers (M&A)
All user data in the event of a merger, acquisition, or asset sale
Users notified in advance; acquirer bound by this Policy or required to provide equivalent protection
Other users
Your public profile, posts, and interactions (as per your privacy settings)
You control what is public via Settings > Privacy
10. Data Retention
We retain personal data only for as long as necessary to fulfill the specific purposes for which it was collected, comply with legal obligations, or resolve disputes. The table below sets out our specific retention periods.
Data Category
Example Data Points
Retention Period
Justification
Account credentials & core identity
Email, hashed password, username, account ID
Life of account + 30 days post-deletion
Core service functionality; grace period for accidental deletion
User-generated content (active)
Posts, photos, videos, comments, profile data
Until deleted by user or account deletion
Service delivery as requested by user
User-generated content (deleted)
Deleted posts, deleted photos and audio inputs used for AI output
Maximum 30 days after deletion
System stability, abuse prevention, backup cycle
Behavioral analytics data
Clickstream, dwell time, engagement metrics
Maximum 13 months
Seasonal comparisons; regulators generally require fresh justification beyond 12 months
Direct messages
Private message content and metadata
Until deleted by both parties or account deletion
Communication service delivery
Contact graph data (synced contacts)
Hashed contact identifiers
Until permission revoked + 90 days
Friend discovery feature; deleted on revocation
Security and access logs
Login timestamps, IP addresses, failed auth attempts
90 days to 6 months
Cybersecurity forensics, fraud detection, incident response
Financial / transaction records
Payment history, in-app purchase records
7 years post-transaction
Tax, accounting, and financial compliance obligations
Legal hold / law enforcement
Any data subject to a preservation request or legal order
Duration of legal hold + as required by order
Legal obligation
Age verification records
App-store-provided age range, parental consent records
Duration of account
Child safety compliance and audit trail
Right to Erasure — Technical Reality
When you delete your account or exercise your right to erasure, we initiate deletion from our primary production databases immediately. Data is purged from encrypted backup architectures during the natural overwrite cycle, which occurs within 90 days. We will confirm completion of deletion upon request. Certain categories of data (financial records, legal holds) may be retained as required by law even after an erasure request.
11. Children's Privacy and Age Verification
We take the privacy of minors extremely seriously and operate a multi-layered age verification and parental consent architecture.
Jurisdiction
Age Threshold and Requirements
Global default
Minimum age 13. Users 13-17 require verified parental consent before accessing certain features.
EEA / UK
Minimum age 16 (or lower national threshold, minimum 13). Applies to processing based on consent under GDPR Art. 8.
Quebec, Canada
Enhanced parental consent required for users under 14. Consent must be explicit, prominent, and documented.
Republic of Korea
Minimum age 14. Parental consent required for users aged 14-18.
Texas, Utah, Louisiana (US)
We receive age-range and parental supervision telemetry from Apple App Store and Google Play in compliance with applicable state age-verification laws.
Our Age Verification Architecture
If you believe we have inadvertently collected data from a child below the applicable minimum age, please contact us immediately at privacy@hopenapp.com.
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We collect date of birth at account registration and use this to determine applicable age thresholds.
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For users below the applicable minimum age or between the minimum age and 18, we trigger parental consent workflows within the app.
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We receive age-range telemetry from Apple's App Store and Google Play's platform APIs, where available, to supplement our own age verification.
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We process age-verification telemetry solely for child safety and compliance purposes. This data is retained for the duration of the account.
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If we discover that a user below the applicable minimum age has registered without parental consent, we will immediately delete their account and all associated data.
12. Your Privacy Rights
Depending on your jurisdiction, you may have the following rights. We honor the highest applicable standard across all jurisdictions where we operate.
Right
Description and How to Exercise It
Right to Access / Know
Request a copy of the personal information we hold about you, including the categories, sources, purposes, and third parties involved.
Right to Rectification / Correction
Request correction of inaccurate or incomplete personal information.
Right to Erasure / Deletion
Request deletion of your personal information, subject to legal retention requirements. In-app: Settings > Account > Delete Account, or contact us at privacy@hopenapp.com.
Right to Restrict Processing
Request that we limit how we use your data in certain circumstances (e.g., while a correction request is pending).
Right to Data Portability
Receive your personal data in a structured, machine-readable format (JSON or CSV) and transfer it to another provider. Includes Quebec right to transfer directly to a competing service provider.
Right to Object
Object to processing based on legitimate interests, or to direct marketing at any time.
Right re: Automated Decisions
Not to be subject to a decision based solely on automated processing that significantly affects you. Request human review of any such decision.
Right to Opt-Out of Sale/Sharing
Opt out of the sharing of your personal information (CCPA/CPRA). Visit [hopenapp.com/privacy-choices] or contact us at privacy@hopenapp.com.
Right to Limit Sensitive Data Use
Limit our use of your sensitive personal information to necessary service functions only (CPRA).
Right to Withdraw Consent
Withdraw any previously given consent at any time without penalty. Settings > Privacy > Consent Management.
Right to Non-Discrimination
We will not discriminate against you for exercising any of these rights.
How to Submit a Request
We will verify your identity before processing your request. We will respond within 30 days (GDPR) or 45 days (CCPA/CPRA). We may extend this period by an additional 30/45 days for complex requests and will notify you of any extension.
EEA / UK users: If we are unable to resolve your complaint, you have the right to lodge a complaint with your national data protection supervisory authority (e.g., the Irish DPC, CNIL, ICO for UK users, or your local authority). A list of EU supervisory authorities is available at: edpb.europa.eu.
- In-app: Settings > Privacy > Privacy Rights Request
- Email: contact@hopenapp.com
- Web form: [hopenapp.com/privacy-request]
13. Data Security and Breach Notification
Security Measures
While we implement industry-standard safeguards, no system is completely secure. You are responsible for maintaining the confidentiality of your account credentials. Please notify us immediately at contact@hopenapp.com if you suspect unauthorized access to your account.
Breach Notification
In the event of a personal data breach, we will:
- Encryption in transit: TLS 1.2 or higher for all data in transit
- Encryption at rest: AES-256 for stored personal data and backups
- Access controls: role-based access, multi-factor authentication for internal systems
- Regular penetration testing and vulnerability assessments
- Formal cybersecurity audit program (annual, in compliance with emerging CPRA requirements)
- Data Processing Agreements with all third-party sub-processors
- Privacy by Design: new features assessed via Privacy Impact Assessments before deployment
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Notify the relevant supervisory authority within 72 hours of becoming aware of the breach (where required under GDPR and equivalent laws)
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Notify affected users without undue delay where the breach is likely to result in a high risk to their rights and freedoms
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Notifications will describe the nature of the breach, the categories of data affected, likely consequences, and the measures taken or proposed to address it
14. International Data Transfers
Hopen is operated from Québec, Canada. When you use our Services, your personal information may be transferred to and processed in the United States or other countries where our servers and sub-processors are located, which may have data protection laws different from those in your country.
Transfer Mechanism
Applies To
Adequacy Decision
Transfers to countries recognized by the European Commission as providing adequate data protection.
Standard Contractual Clauses (SCCs)
EEA to non-adequate third countries (including the US). We use the 2021 EU SCCs for all such transfers.
UK International Data Transfer Agreement (IDTA)
UK to non-adequate third countries. We have executed IDTAs with all relevant sub-processors.
Swiss equivalents
Switzerland: transfers governed by Swiss-approved transfer mechanisms equivalent to SCCs.
Privacy Impact Assessments (Quebec Law 25)
All transfers of personal information outside Quebec are preceded by a documented Privacy Impact Assessment confirming adequate protection.
A list of our sub-processors and the countries to which data is transferred is available at [hopenapp.com/sub-processors].
15. Jurisdiction-Specific Provisions
The provisions in this section supplement and, where specified, take precedence over the general provisions above for users in the relevant jurisdiction.
A. European Economic Area, United Kingdom & Switzerland (GDPR / UK GDPR)
Data Controller
Hopen Technologies Inc. acts as the data controller for the personal data of EEA, UK, and Swiss users. Our EU representative (if appointed) is: [Insert EU Representative Name and Address].
Data Protection Officer (DPO)
We have appointed a Data Protection Officer. Contact: dpo@hopenapp.com.
Special Category Data
We do not intentionally collect special category data (health, political opinions, religious beliefs, biometric data for identification, etc.) unless strictly necessary and with your explicit consent. If you voluntarily include such information in your public content, this is processed solely for the purpose of delivering the Service.
Retention and Erasure
All retention periods set out in Section 10 apply. Your right to erasure is subject to overriding legal obligations. Automated deletion is triggered upon account closure.
Supervisory Authority
You have the right to lodge a complaint with the data protection authority in your country of residence. For users in the EU, a directory is available at edpb.europa.eu. For UK users: ico.org.uk. For Swiss users: edoeb.admin.ch.
B. California, USA (CCPA / CPRA)
In addition to the rights set out in Section 12, California residents are entitled to the following specific disclosures:
C. Quebec, Canada (Law 25 / Act Respecting the Protection of Personal Information in the Private Sector)
Privacy Officer
Hopen Technologies Inc. has designated a Privacy Officer responsible for overseeing compliance with Law 25 and managing privacy requests. The Privacy Officer's contact information is published below and on our website:
[Insert Privacy Officer Name, Title, and contact details here]
D. Canada — Federal (PIPEDA)
We comply with the Personal Information Protection and Electronic Documents Act (PIPEDA) and its ten fair information principles. All data collection purposes are identified at or before the time of collection. Data is not repurposed without fresh, informed consent. Our designated Privacy Officer (see Quebec section above) also serves as the PIPEDA accountability officer.
E. Brazil (LGPD — Lei Geral de Protecao de Dados)
If you are located in Brazil, we process your personal data in accordance with the Lei Geral de Protecao de Dados (Law No. 13,709/2018). You have the following rights under the LGPD: confirmation of processing, access, correction, anonymization/deletion/blocking, portability, deletion of data processed with consent, information about sharing, information about consequences of withholding consent, and revocation of consent. To exercise these rights, contact privacy@hopenapp.com. Our Data Protection Officer for Brazil is: [Insert DPO Brazil contact].
F. Australia (Privacy Act 1988 / Australian Privacy Principles)
We comply with the Privacy Act 1988 (Cth) and the Australian Privacy Principles (APPs). You have the right to access and correct personal information we hold about you. If you have a privacy complaint, contact us first at privacy@hopenapp.com. If we are unable to resolve it, you may complain to the Office of the Australian Information Commissioner (OAIC) at oaic.gov.au.
G. Republic of Korea (PIPA)
In the Republic of Korea, we comply with the Personal Information Protection Act (PIPA). The minimum age for use of the Services in Korea is 14. Users between 14 and 18 require parental consent. You have the right to access, correct, delete, and suspend processing of your personal information. Contact our designated Privacy Manager for Korea at privacy@hopenapp.com.
H. Japan (APPI)
In Japan, we comply with the Act on the Protection of Personal Information (APPI) and notify you of the purpose of use at the time of collection. Where required, we obtain your consent before collecting sensitive personal information. You have the right to request disclosure, correction, cessation of use, or deletion of your personal information. Contact us at privacy@hopenapp.com.
I. India (DPDPA 2023)
In India, we comply with the Digital Personal Data Protection Act, 2023. You have the right to access, correct, and erase your personal data, and to nominate a person to exercise your rights on your behalf. Contact us at privacy@hopenapp.com.
J. Germany
In Germany, the limitations on warranties and liability are subject to the mandatory provisions of German law (BGB Sections 305 et seq.). Liability for intent and gross negligence is not limited under German law.
K. France
In France, consumers retain the benefit of mandatory warranty protections under the French Consumer Code (garantie legale de conformite, garantie contre les vices caches). Nothing in this Policy limits rights afforded under the French Consumer Code.
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"Do Not Sell or Share My Personal Information": We do not sell your personal information. To opt out of sharing for targeted advertising, visit [hopenapp.com/privacy-choices].
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Sensitive Personal Information: You have the right to limit the use of your sensitive personal information to what is necessary to provide the Services. To exercise this right, visit Settings > Privacy > Sensitive Data Preferences.
- We have not discriminated against any user for exercising their CCPA/CPRA rights.
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Authorized Agent: You may designate an authorized agent to submit requests on your behalf. We will require written proof of authorization.
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Shine the Light: California Civil Code Section 1798.83 entitles California residents to request information about disclosure of personal data to third parties for direct marketing. Contact contact@hopenapp.com.
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Confidentiality by Default: All privacy settings are configured to the highest level of confidentiality by default. Non-essential tracking technologies require explicit opt-in.
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Privacy Impact Assessments (PIAs): We conduct PIAs before any cross-border transfer of personal information from Quebec, and before implementing any new technology involving personal data (including AI/ML systems).
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Biometric Data: If we implement features involving biometric identification, we will notify the Commission d'acces a l'information (CAI) at least 60 days in advance and obtain explicit, specific consent from each affected user.
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Data Portability (Quebec-specific): You have the right to receive your personal information that you have directly provided to us in a structured, commonly used technological format, and to have it transmitted directly to a third-party service provider of your choice, where technically feasible.
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Automated Decisions: If we render a decision based exclusively on automated processing of your personal information, we will inform you at the time the decision is communicated and disclose, upon request, the personal information used and the principal factors and parameters that led to the decision.
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Minors under 14: We require explicit, verifiable parental or guardian consent before collecting or processing the personal information of users under 14 years of age in Quebec.
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Penalties: The Commission d'acces a l'information may impose fines of up to $25 million CAD or 4% of worldwide turnover for serious violations of Law 25.
16. Consent Management Platform
We operate a Consent Management Platform (CMP) that allows you to review, grant, and withdraw granular consent for non-essential data processing activities at any time.
- All non-essential tracking technologies (analytics SDKs) are disabled by default.
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You are presented with a clear consent interface at first launch and whenever we introduce new processing activities requiring consent.
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You can modify or withdraw your consent selections at any time: Settings > Privacy > Manage Consent.
- Withdrawing consent does not affect the lawfulness of processing carried out before withdrawal.
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We log the date, time, and scope of all consent events for audit purposes. These records are available to you upon request.
17. Account Deletion
In compliance with Apple App Store Review Guideline 5.1.1(v) and Google Play policy, we provide a functional, easily discoverable account deletion mechanism directly within the application.
How to Delete Your Account
What Happens When You Delete Your Account
Data Category
Action on Deletion
Profile and account data
Deleted from primary systems immediately; purged from backups within 90 days
User-generated content (posts, photos, videos)
Removed from public display immediately; permanently deleted within 30 days
Direct messages
Deleted from your account; may remain in your conversation partners' inboxes until they delete them
Synced contact data
Permanently deleted within 90 days of account deletion
Financial / transaction records
Retained for 7 years as required by tax and financial law
Legal hold data
Retained for the duration of any active legal hold or preservation request
Temporary deactivation is available as an alternative to full deletion. Deactivation hides your profile and content but does not delete your data. You can reactivate your account at any time within [X] months of deactivation, after which your account will be permanently deleted.
- In-app: Settings > Account > Delete Account
- Email: contact@hopenapp.com
18. Changes to This Privacy Policy
We may update this Privacy Policy from time to time. For material changes, we will provide at least 30 days' advance notice via email to the address associated with your account and/or a prominent in-app notification, except where applicable law requires a different notice period.
We will update the "Last Updated" date at the top of this Policy. Your continued use of the Services after the effective date of the updated Policy constitutes acceptance of the changes.
EEA / UK users: For changes that materially affect your rights, we will seek your explicit agreement rather than relying on continued use as deemed acceptance.
19. Contact Us
For all privacy inquiries, rights requests, and support:
Post: Hopen Technologies Inc., [Insert Full Street Address]
© Hopen Technologies Inc. All rights reserved.
- Email: contact@hopenapp.com