Privacy Policy — SnapFlick

SnapFlick Privacy Policy

Last updated: September 8th, 2026

SnapFlick collects certain personal data in order to run, and this policy explains what, why, and how — plus the rights you hold. It has been prepared to align with the General Data Protection Regulation (GDPR), the California Consumer Privacy Act and Privacy Rights Act (CCPA/CPRA), and the Virginia Consumer Data Protection Act (VCDPA).

Key Definitions

Application
SnapFlick — the mobile software program distributed by the Company.
Company
The organization behind SnapFlick, also referred to as "we," "us," or "our."
Personal Data
Information that identifies, or can be used to identify, an individual.
Usage Data
Automatically generated data from your interactions with SnapFlick — session times, screens viewed, diagnostics.
Device
Any phone, tablet, or other hardware used to access the service.
Service Provider
A third party that processes Personal Data on the Company's instructions.

What Data Do We Gather?

Two categories of Personal Data are involved: information generated automatically by your Device, and information you supply voluntarily.

Generated automatically

  • IP address and network connection details
  • Device Info — model, OS version, WebView
  • Identifiers such as GAID and ANDROID_ID
  • Usage Data — sessions, screens, feature taps
  • Crash logs, diagnostics, performance metrics

Supplied by you

  • Advertising identifiers (GAID on Android, IDFA on iOS)
  • Engagement and in-app event signals
  • PayPal account email and name, for withdrawals only

Why Do We Need Your Data?

Your Personal Data powers core functions, communications, and improvements — nothing is gathered without a stated purpose.

When Is Data Shared?

We are selective about sharing. Personal Data reaches other parties only in the circumstances below.

PayPal data protection. The Company does not sell or rent user PayPal account email addresses to any third party. Such information is disclosed only with your explicit consent or where applicable law requires it.

Analytics & Server Endpoints

Analytics and application services are reached through https://tidh.soccemss.com. Data processed by the analytics layer is anonymized and is not designed to carry personally identifiable information. The same endpoint supports core service delivery, progress synchronization, stability engineering, and user support.

Endpoint safeguards

  • Transport Layer Security (TLS) 1.2 or higher for every transmission
  • Role-based access controls restricting data to authorized personnel
  • Data minimization applied throughout processing
  • Recurring security audits and vulnerability assessments
  • Data Processing Agreements signed with all third-party handlers

What Can You Do About Your Data?

Data protection laws grant you concrete rights depending on where you live.

GDPR

European Economic Area

  • Access
  • Rectification
  • Erasure
  • Restrict processing
  • Object

CCPA / CPRA

California

  • Know
  • Delete
  • Opt-Out of sale
  • Non-Discrimination

VCDPA

Virginia

  • Access
  • Correct
  • Delete
  • Data portability
  • Opt-Out

Submit a written request to svxq4090@outlook.com, naming the right you wish to exercise.

Opting Out

We do not carry out automated profiling that produces legal or similarly significant effects; concerns may be raised at the same address.

Data Retention

Personal Data is retained only for as long as it serves the purposes set out here. Where an account remains unused for 90 consecutive days, the associated Personal Data is permanently deleted from our systems. Anonymized or aggregated Usage Data may be kept longer for internal analysis, provided it can no longer identify you.

Data Security

Commercially reasonable physical, administrative, and technical safeguards are maintained, including encryption of sensitive data in transit, TLS 1.2 or higher, need-to-know access controls, periodic audits, and contractual security obligations for partners. That said, no method of internet transmission or electronic storage is completely secure, and absolute security cannot be guaranteed.

International Transfers

Personal Data may be transferred to and processed on servers located outside your country of residence. Such transfers are protected by TLS 1.2 or higher and, where required, by appropriate contractual safeguards including Standard Contractual Clauses.

Third-Party Services & Ad Partners

Advertising is delivered through AppLovin and its mediated partner network. Only limited categories of data reach advertising partners.

Shared with partners

  • Resettable advertising identifiers
  • Device model, OS, and screen size
  • Session frequency and engagement duration
  • Ad impressions and clicks
  • Non-precise demographics (country, language)

Never shared

  • Email addresses or phone numbers
  • Account credentials
  • Detailed in-app activity history
  • User-generated content
  • Precise geolocation data

Advertising partner privacy policies

Application Permissions

Every permission is disclosed before installation, limited to the stated purpose, and aligned with Google Play Developer Program Policies.

PermissionPurposeData collected
INTERNETNetwork access for content, ads, and updatesNetwork status, transfer statistics
ACCESS_NETWORK_STATEAdapt behavior to connection typeNetwork type and status
ACCESS_WIFI_STATEKeep Wi-Fi sessions stableWi-Fi status, signal strength
AD_IDAdvertising identifier for personalizationResettable device ad ID
VIBRATEHaptic feedback for in-app eventsNone
ACCESS_ADSERVICES_TOPICSAd interest topic signalsAdvertising topic data
ACCESS_ADSERVICES_ATTRIBUTIONCampaign attribution measurementAttribution data
BIND_GET_INSTALL_REFERRER_SERVICEIdentify install sourceInstall source, campaign parameters
BIND_APPHUB_SERVICEOptimize ad delivery via AppHubAd parameters, impression data
ACCESS_ADSERVICES_AD_IDComply with modern ad API requirementsAd service identifiers
FOREGROUND_SERVICEMaintain critical functions when backgroundedNone
DYNAMIC_RECEIVER_NOT_EXPORTED_PERMISSIONSecure internal broadcast communicationNone

Children's Privacy

SnapFlick is not directed to, nor intended for use by, individuals under the age of thirteen (13), and the Company does not knowingly collect Personal Data from children under 13. A parent or guardian who believes a child has provided Personal Data should write to svxq4090@outlook.com; upon verification the data will be deleted promptly.

Disclosure Requirements

Third-Party Links

The Application may link to websites or services the Company does not operate. We are not responsible for their content, privacy practices, or security, and we recommend reviewing the privacy policy of any external destination you open.

Cookie Policy

Where SnapFlick opens WebViews or other web surfaces, cookies and similar technologies may be used for session continuity, analytics, and advertising measurement. Some tracking can be limited through the device-level advertising settings described under Opting Out.

Data Protection Officer

Privacy governance questions, including matters normally directed to a Data Protection Officer, may be sent to svxq4090@outlook.com.

Changes to This Policy

This policy may be amended at any time, with amendments effective once the revised text appears on this page and the "Last updated" date is refreshed. Where changes materially affect how Personal Data is processed, notice may be given by email or a prominent in-app message.

Get in Touch

svxq4090@outlook.com

In-Application: Settings → Help & Support

Privacy-related enquiries are answered within 48 hours wherever possible.

© 2026 SnapFlick · Privacy Policy · September 8th, 2026