Legal
Privacy Policy
Effective date: 2026-05-14. This Privacy Policy applies to Zhengzhou Weipai Intelligent Technology Co., Ltd, website services, and mobile applications distributed through channels including Google Play and Apple App Store.
1. Controller and Contact Information
Company: Zhengzhou Weipai Intelligent Technology Co., Ltd
Office Address: B1007, 1st Floor, Zhihui City, No. 59 Dongfeng Road, Jinshui District, Zhengzhou, 450000, CN
Website: weipaiai.com
Business Support: support@weipaiai.com
Key Accounts: wangxiaofang@weipaiai.com
2. Scope and Services Covered
This Policy governs privacy practices for our website, enterprise technology services, software and hardware products, and mobile management applications. It includes products and services related to:
- Technical services, technical development, technical consulting, technical communication, technical transfer, and technical promotion.
- AI application software development, IoT technology research and development, software development, software sales.
- Retail of computer software and hardware and auxiliary equipment, electronic products, smart robots, smart hardware, IoT devices, communication equipment, and security equipment.
- Information system integration services, information technology consulting services, data processing and storage support services, big data services, industrial internet data services, and security technology prevention system design and construction services.
- Office equipment sales, office supplies sales, daily goods sales, internet sales (excluding goods requiring licensing), marketing planning, conference and exhibition services, domestic trade agency, and import-export of goods not prohibited or restricted by law.
- Mobile management applications launched on Google Play and Apple App Store, including app operations and store compliance support.
3. Information We Collect
3.1 Information You Provide
- Account and profile data (name, email, organization, role, region).
- Business communication records, support requests, and key account correspondence.
- Contract, billing, transaction, and service implementation data.
3.2 Information Collected Automatically
- Device identifiers, operating system, app version, language, time zone, approximate geolocation.
- Usage telemetry, feature interactions, performance diagnostics, crash logs, and network data.
- Security logs for fraud prevention, abuse detection, and system integrity.
3.3 Advertising and Monetization Data
- Advertising identifiers (for example, Android Advertising ID and Identifier for Advertisers where permitted).
- Consent status signals (for example, UMP, IAB TCF, or equivalent frameworks).
- Ad interaction events, impressions, clicks, rewards, and anti-fraud signals.
4. Purposes and Legal Bases
| Purpose | Legal Basis Examples |
|---|---|
| Service delivery, account administration, customer support | Contract performance, legitimate interest |
| Security monitoring, anti-fraud, abuse prevention | Legal obligation, legitimate interest |
| Analytics, diagnostics, and product improvement | Legitimate interest, consent where required |
| Advertising monetization and mediation operations | Consent where required, legitimate interest for non-personalized operations |
| Legal compliance, dispute handling, audit and reporting | Legal obligation, legitimate interest |
5. App Store and Platform Compliance
5.1 Google Play
We implement privacy disclosures and data safety declarations for collection, sharing, retention, and security practices. Where applicable, we request runtime permissions with in-context explanations and provide revocation pathways.
5.2 Apple App Store
We support App Tracking Transparency requirements where applicable, provide privacy nutrition details, and respect platform policy constraints on tracking, sensitive data, and child-directed app behavior.
5.3 Other Distribution Channels
If applications are distributed through additional channels, equivalent policy disclosures, consent flows, and lawful processing controls are applied.
6. Advertising SDKs and Monetization Compliance
Our mobile applications may include monetization and mediation components. Supported ad formats commonly include splash ads (app open), rewarded video ads, interstitial ads, and banner ads, and may include native ads where configured.
6.1 Potential Advertising and Mediation Partners
Depending on product configuration and region, integrations may include Google AdMob, Google Ad Manager, AppLovin MAX, Unity Ads, ironSource, Meta Audience Network, Mintegral, Pangle, InMobi, Liftoff Monetize (Vungle), Chartboost, Moloco, Smaato, Start.io, Fyber, Tapjoy, AdColony, Digital Turbine, Verve Group, PubMatic, OpenX, Index Exchange, TripleLift, Amazon Publisher Services, and other compliant demand or mediation providers.
6.2 Compliance Controls
- Consent management before personalized advertising where legally required.
- Regional treatment of non-personalized advertising when consent is denied or unavailable.
- Age-gating and child-directed treatment to restrict behavioral advertising where required.
- Third-party SDK inventory review and data processing contract governance.
- Periodic policy and SDK updates to remain aligned with platform and legal changes.
7. Regional and Country-Specific Rights
7.1 EEA and UK (GDPR / UK GDPR / ePrivacy)
Data subjects may have rights of access, rectification, deletion, restriction, portability, objection, and withdrawal of consent. You may lodge complaints with your supervisory authority.
7.2 United States (state privacy laws, including California CCPA/CPRA and applicable state frameworks)
Eligible users may request disclosure, deletion, correction, and opt-out rights under applicable law. Where law applies, we honor recognized opt-out preference signals where technically supported and legally required.
7.3 Brazil (LGPD)
Users may request confirmation of processing, access, correction, anonymization, deletion, portability, and information about sharing under LGPD standards.
7.4 Canada (PIPEDA and provincial standards)
Users may request transparency about collection and use, with reasonable access and correction rights.
7.5 APAC Policy Alignment
For jurisdictions such as Japan (APPI), South Korea (PIPA), Singapore and Thailand (PDPA), Australia (Privacy Act), and others, we apply localized notice and lawful processing practices where required by law and service context.
8. Age Policy and Child Protection
Our services are generally designed for business and general audiences and are not intended for children under applicable minimum ages. Where required by law:
- We enforce child-directed treatment and restricted advertising behavior.
- We disable personalized advertising for age-restricted users.
- For teens in regulated jurisdictions, we apply additional safeguards and consent logic where needed.
Representative thresholds may include under 13 (for child-focused protections), under 16 in parts of EEA, and other country-specific youth protection standards.
9. Data Sharing and Recipients
We may share data with cloud hosting providers, analytics vendors, communication tools, advertising and mediation partners, payment and compliance service providers, legal advisors, and authorities when legally required. Sharing is limited to necessary purposes and contractual safeguards.
10. Cross-Border Transfers
Data may be processed in multiple countries. Where required, we apply contractual safeguards, transfer impact considerations, and supplementary protection measures.
11. Retention and Deletion
We retain data only as long as necessary for service delivery, legal obligations, security, accounting, and dispute handling. Retention periods vary by data category and legal requirement. When retention is no longer required, data is deleted or irreversibly anonymized.
12. Security Measures
- Access control, authentication and role-based authorization.
- Transport and storage protection mechanisms.
- Monitoring, incident response, vulnerability management, and logging.
- Vendor due diligence and security review workflow for third-party SDKs and services.
13. Your Choices
- Manage account information and communication preferences.
- Use device settings to reset or limit advertising identifiers.
- Use in-app privacy controls to manage consent and notification preferences.
- Submit data rights requests via support channels.
14. Policy Updates
We may update this Policy due to legal, technical, and business changes. Material updates are announced through website notices, in-app prompts, or equivalent communication channels.
15. Contact and Rights Requests
Email: support@weipaiai.com
Key Account Channel: wangxiaofang@weipaiai.com
Address: B1007, 1st Floor, Zhihui City, No. 59 Dongfeng Road, Jinshui District, Zhengzhou, 450000, CN
If your request concerns app store policy disclosures, ad SDK transparency, or regional privacy rights, include your country or region, app name, and request type in your email for faster processing.