Privacy rights and operator duties are addressed in this Policy for Zobadi.
1 Where This Policy Applies
This Privacy Policy applies to Zobadi, related app pages, and communications that refer to this Policy. It covers information handled by the app operator in connection with app use, purchases, privacy requests, legal notices, and service operations.
Some processing is performed by platform providers, payment providers, hosting vendors, analytics or diagnostics providers, security vendors, and other service providers that help operate the app. Those providers may also maintain their own privacy terms for their services. When a third-party service controls its own processing, its privacy notice will apply to that separate processing.
2 What you can request about app information
Privacy laws may give you rights to access, correct, delete, restrict, transfer, or object to certain handling of personal information. Available rights can vary by location, the type of information involved, and the reason the information is held.
Requests will be reviewed under the law that applies to the request. A request may be refused, limited, or delayed where identity cannot be reasonably confirmed, where another person’s rights would be affected, where the request is repetitive or abusive, or where retention is required for legal, security, fraud-prevention, tax, accounting, dispute, or platform-compliance reasons.
Where consent is used as the legal basis for a particular activity, consent may be withdrawn for future processing. Withdrawal does not affect processing that already occurred, and it may not remove processing that continues under another lawful basis.
For users in the EEA or UK, the lawful bases for processing may include performance of a contract, consent, compliance with legal obligations, legitimate interests, and the establishment or defense of legal claims.
3 What information may be involved
The operator may receive or keep information a user provides in the app, information created by app activity, limited purchase confirmation details from app stores or payment platforms, correspondence, privacy-request materials, and technical records needed for operation or compliance.
The amount and type of information depend on user choices and the app context. App marketplace or payment platform providers generally process payment details directly, while Zobadi may keep only the confirmation and related records needed to honor the purchase, address disputes, prevent misuse, and meet legal obligations.
4 The purposes that can justify handling app information
Information is used to operate and maintain the app, provide app functionality, process or recognize purchases, respond to requests, manage legal notices, preserve security, prevent misuse, troubleshoot technical issues, maintain business and compliance records, and enforce applicable terms.
For EEA and UK users, contract-based processing supports the operation of requested app functions and purchase-related access. Consent may support optional communications or other consent-based activity where applicable. Legal obligation supports tax, accounting, consumer-protection, and compliance records. Legitimate interests support security, fraud prevention, service reliability, internal administration, and protection of legal rights, provided those interests are not overridden by applicable privacy rights.
5 Sharing and Service Providers
The operator may allow vendors, platform partners, and professional advisers to handle information when their work is needed for hosting, app operation, security, diagnostics, support, purchase administration, legal compliance, or ordinary business records. Their handling should stay within authorized purposes and appropriate confidentiality or processing terms.
Information may also be provided when required for app-store or payment processing, legal process, rights protection, misuse review, safety concerns, or a business transaction involving the app. Content is not sold as a standalone product. If a privacy law treats a specific platform or analytics practice as a sale, sharing, or targeted advertising activity, any required choice mechanism will be made available as that law requires.
6 When records are kept and when they are removed
Information is kept for the period reasonably needed for the purpose for which it was collected or later lawfully processed. Different retention periods can apply to app records, purchase records, technical logs, correspondence, legal notices, and compliance records.
Deletion from the app or a privacy request may reduce or remove information from active systems, but some information can remain in backups, security logs, payment records, legal files, or other systems for a limited period. Retention may continue where necessary for legal compliance, dispute handling, fraud prevention, tax or accounting requirements, security review, or protection of legal rights.
7 Safeguards used to reduce privacy risk
The operator maintains practical safeguards for information based on the sensitivity of the information and the risks involved. Those safeguards can include limited access, provider review, monitoring, encryption where suitable, and internal practices intended to reduce improper access or exposure.
Digital services carry security risk even when safeguards are in place. Security practices may be adjusted over time, and users should avoid placing unnecessary sensitive details in the app or in related communications.
8 Cross-Border Processing
Zobadi may be operated with providers, systems, or personnel located in more than one country. Information can therefore be transferred to, stored in, or accessed from jurisdictions that have privacy laws different from those in the user’s home location.
Where international transfer rules apply, transfers are handled through recognized safeguards or lawful transfer mechanisms, such as contractual protections, adequacy decisions, provider commitments, consent where valid, or other mechanisms permitted by applicable law. Requests about cross-border processing will be reviewed under the rights process described in this Policy.
9 Children and age-sensitive privacy handling
Zobadi is intended for users who have the legal capacity to use an app of this kind or who use it with appropriate parent or guardian involvement. The app operator does not knowingly seek personal information from minors who cannot provide valid consent or use the app under applicable law.
If a parent or guardian believes that a child has provided personal information in a way that requires review or removal, a privacy request can be sent through the contact channel below. Reasonable steps will be taken after the request is assessed.
10 Where to Send Privacy Requests
Privacy requests and legal privacy communications should be sent to message@zobadi.app. The request should give enough context for the operator to understand and route it, while avoiding unnecessary sensitive details.
A response may require reasonable steps to confirm authority to act on the request. Where an authorized agent submits a request, proof of authorization may be required if the law permits that step. Responses will be provided within the time required by applicable law, unless an extension is permitted.
11 When this privacy notice changes
This Policy may be revised when app operations, legal requirements, provider arrangements, or privacy practices change. The revised version will be posted or made available through an appropriate channel, and continued use of Zobadi after the new version becomes available means the updated Policy applies from that point forward.
Version record: this Privacy Policy is effective June 6, 2026, and was last updated June 6, 2026.