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Privacy Policy
Last updated: 9 September 2026
Social Wipeout respects your privacy and is committed to protecting your personal information.
This Privacy Policy explains how Social Wipeout (“Social Wipeout,” “we,” “us,” or “our”) collects, uses, stores, shares, protects and otherwise processes personal information when you visit socialwipeout.com, purchase our products, communicate with us, interact with our advertisements or social-media accounts, participate in promotions or playtesting, or otherwise interact with Social Wipeout.
This Policy is intended to provide information required under applicable privacy and data-protection laws, including, where applicable, the EU General Data Protection Regulation (“GDPR”), applicable Dutch data-protection law, the UK GDPR, the California Consumer Privacy Act as amended by the California Privacy Rights Act (“CCPA”), and other applicable United States state privacy laws.
The rights described in this Policy apply only where the relevant law applies to you and to Social Wipeout.
1. Who We Are
The controller responsible for personal information processed through socialwipeout.com is:
Social Wipeout
Crooswijkseweg 108
3034 HP Rotterdam
The Netherlands
Website: socialwipeout.com
Email: socialwipeout.business@gmail.com
Legal entity: [TO BE COMPLETED BEFORE LAUNCH]
KvK number: [TO BE COMPLETED BEFORE LAUNCH]
VAT number: [TO BE COMPLETED BEFORE LAUNCH, IF APPLICABLE]
These business-registration details will be updated before commercial operations begin where required.
2. Scope of This Privacy Policy
This Privacy Policy applies to personal information collected through or in connection with:
- socialwipeout.com
- our online store
- orders and purchases
- customer-service communications
- returns and refunds
- email communications
- marketing communications
- advertising
- social-media interactions
- competitions, giveaways and promotions
- reviews and testimonials
- playtesting
- user-generated content
- fraud and security prevention
- analytics
- cookies and similar technologies; and
- other interactions with Social Wipeout
Third-party websites, platforms and services may have their own privacy policies.
3. Personal Information We May Collect
Depending on how you interact with Social Wipeout, we may collect the following categories of personal information.
A. Identity Information
This may include:
- name
- first and last name
- username or social-media name
- customer or order identifier; and
- other information used to identify you
B. Contact Information
This may include:
- email address
- telephone number
- billing address
- shipping address
- return address; and
- other contact details you voluntarily provide
C. Order and Transaction Information
When you purchase Social Wipeout, we may process information including:
- products purchased
- order number
- order date
- order value
- currency
- shipping method
- delivery status
- returns
- refunds
- discount codes
- customer-service history; and
- other information necessary to manage your order
D. Payment Information
Payments may be processed by third-party payment providers.
Depending on the payment method, we may receive limited information concerning the transaction, such as:
- payment status
- payment method
- transaction identifier
- amount paid
- currency; and
- limited billing information
We generally do not directly receive or store complete payment-card numbers, CVV security codes or full payment credentials where payment processing is handled by an authorised third-party payment provider.
Payment providers process information according to their own terms and privacy notices.
4. Shipping and Fulfilment Information
Social Wipeout currently uses a third-party fulfilment provider located in China.
To fulfil and deliver an order, certain information may therefore be transmitted to our fulfilment, logistics and shipping providers.
This may include:
- customer name
- shipping address
- telephone number where required for delivery
- email address where required for shipping communications
- order details
- product information; and
- other information reasonably necessary to fulfil and deliver the order
We only intend to provide fulfilment providers with information reasonably necessary to perform their services.
5. Website and Device Information
When you access socialwipeout.com, certain technical information may be collected automatically.
This may include:
- IP address
- browser type
- browser version
- device type
- operating system
- language settings
- approximate location derived from IP address
- pages viewed
- links clicked
- referring website
- date and time of visits
- session information
- website interactions
- device identifiers; and
- similar technical information
This information may be collected through cookies, pixels, SDKs, server logs and similar technologies.
6. Account Information
If customer accounts or similar functionality are made available, we may process:
- account name
- email address
- account identifiers
- order history
- saved preferences
- account settings; and
- authentication-related information
Passwords, where applicable, should be handled through appropriate security systems and should not be disclosed to Social Wipeout through ordinary customer-service communications.
7. Customer-Service Information
If you contact us, we may collect and retain information contained in your communication.
This may include:
- your name
- email address
- order number
- messages
- complaints
- questions
- photographs
- videos
- return information
- refund information
- delivery information; and
- other information you voluntarily provide
8. Returns and Refund Information
When processing a return, refund, damaged-order claim or warranty/conformity issue, we may collect:
- order information
- contact details
- reason for return
- photographs of products
- photographs of packaging
- shipping documentation
- tracking information
- communications concerning the claim; and
- information required to prevent fraudulent returns
This information may be shared with carriers, payment providers, insurers, fulfilment providers or other relevant service providers where necessary to investigate or resolve the matter.
9. Marketing Information
If you subscribe to marketing communications or otherwise lawfully receive them, we may process:
- email address
- marketing preferences
- subscription status
- interactions with marketing emails
- campaign information; and
- information concerning products or promotions in which you have shown interest
Where consent is required, marketing communications will only be sent after obtaining the required consent.
You may unsubscribe from marketing communications at any time using the unsubscribe option provided in the communication or by contacting us.
10. Advertising Information
We may use advertising services to promote Social Wipeout.
Depending on the technologies enabled on the Website and your consent choices, advertising providers may process information such as:
- IP address
- cookie identifiers
- device identifiers
- advertising identifiers
- Website interactions
- products viewed
- cart activity
- purchase events
- referral information; and
- advertising campaign interactions
Where required by applicable law, advertising or tracking technologies that are not strictly necessary will not be activated until appropriate consent has been obtained.
11. Social Media
Social Wipeout may maintain accounts on social-media platforms.
If you interact with us through social media, we may receive information including:
- your public profile information
- username
- comments
- messages
- likes
- tags
- mentions
- photographs
- videos; and
- other information you choose to make available
The relevant social-media platform may independently process your personal information under its own privacy policy.
12. Reviews and Testimonials
If you submit a review, testimonial, photograph, video or other user-generated content, we may process the information contained in that submission.
Where you voluntarily agree that content may be publicly displayed, information such as your name, username, review, photograph or video may become publicly visible.
We will obtain any consent required by applicable law for promotional uses where necessary.
13. Playtesting
If you participate in Social Wipeout playtesting, we may collect information such as:
- name
- email address
- social-media username
- feedback
- survey responses
- opinions concerning the Product
- playtest results
- photographs
- audio
- video; and
- other information voluntarily provided during testing
Participation in a playtest does not automatically constitute consent to commercial use of your image, voice or likeness.
Where photographs, audio or video recordings are intended to be used commercially, for advertising or for promotional purposes, we may request separate consent or an appropriate release.
14. Competitions, Giveaways and Promotions
If you participate in a giveaway, competition or promotion, we may collect information necessary to administer it, including:
- name
- email address
- social-media username
- entry information
- shipping address where necessary to send a prize; and
- other information specified in the relevant promotion
Additional terms may apply to individual promotions.
15. Information We Receive From Third Parties
We may receive personal information from third parties where permitted by law.
These may include:
- Shopify or another ecommerce platform
- payment providers
- fulfilment providers
- shipping carriers
- analytics providers
- advertising platforms
- social-media platforms
- fraud-prevention providers
- customer-service providers; and
- other service providers used to operate Social Wipeout
The information received depends on the relevant service and your interaction with it.
16. Information We Do Not Intentionally Request
Social Wipeout does not need customers to provide highly sensitive information such as:
- government identification numbers
- passport numbers
- medical records
- health information
- biometric identifiers
- precise financial credentials
- passwords
- religious beliefs
- political beliefs
- sexual orientation; or
- other sensitive personal information
unless there is a specific lawful and necessary reason to process such information.
Please do not send unnecessary sensitive information to us.
17. Information Appearing During Gameplay
Social Wipeout is an adult physical party game that may involve personal questions, phones, social media or information voluntarily disclosed between players.
Social Wipeout does not automatically collect information disclosed between players merely because they are playing the game.
Information revealed to another player during a private game is not automatically transmitted to or controlled by Social Wipeout.
Players remain responsible for respecting each other’s privacy.
If gameplay is recorded or information is separately submitted to Social Wipeout, this Privacy Policy may apply to information subsequently received by us.
18. Why We Use Personal Information
We may process personal information to:
- operate socialwipeout.com
- process purchases
- accept payments
- fulfil orders
- ship products
- provide order updates
- provide customer service
- process returns and refunds
- investigate damaged or missing orders
- respond to questions and complaints
- manage customer accounts
- prevent fraud and abuse
- protect our Website and business
- comply with tax and accounting requirements
- comply with legal obligations
- establish, exercise or defend legal claims
- improve the Product and Website
- conduct analytics
- measure Website performance
- conduct playtesting
- administer promotions
- request or publish reviews where permitted
- send marketing communications where permitted
- measure advertising effectiveness
- personalise advertising where permitted; and
- otherwise operate and improve Social Wipeout
19. GDPR Legal Bases
Where the GDPR or UK GDPR applies, we process personal information only where we have an appropriate legal basis.
Depending on the circumstances, this may include:
Performance of a Contract
We may process information where necessary to perform a contract with you or take steps at your request before entering into a contract.
Examples include:
- processing an order
- receiving payment information
- fulfilling the order
- arranging delivery
- providing customer support; and
- processing a requested return
Legal Obligation
We may process information where necessary to comply with legal obligations.
Examples may include:
- tax records
- accounting
- consumer-protection obligations
- product-safety obligations
- fraud investigations where legally required; and
- responses to lawful government requests
Legitimate Interests
We may process information where necessary for our legitimate interests or those of a third party, provided those interests are not overridden by your rights and freedoms.
Examples may include:
- protecting the Website
- preventing fraud
- maintaining business records
- improving customer service
- defending legal claims
- understanding basic business performance; and
- protecting Social Wipeout’s legal rights
Consent
Where required, we may rely on your consent.
Examples may include:
- non-essential cookies
- certain targeted advertising technologies
- email marketing
- certain promotional uses of photographs or videos; and
- other processing for which consent is legally required
Where processing is based on consent, you may withdraw your consent at any time.
Withdrawal does not affect the lawfulness of processing that occurred before withdrawal.
20. Automated Decision-Making
Social Wipeout does not currently intend to make decisions producing legal or similarly significant effects about customers solely through automated processing.
Third-party fraud-prevention, payment or ecommerce providers may use automated systems to detect suspicious transactions or protect their services.
Where applicable law requires disclosure or provides additional rights concerning automated decision-making, those rights will be respected.
21. Who We May Share Personal Information With
We may disclose personal information to service providers and other recipients where reasonably necessary to operate Social Wipeout.
Categories may include:
- ecommerce platform providers
- hosting providers
- payment processors
- fulfilment providers
- manufacturers where necessary
- shipping carriers
- logistics providers
- customer-service providers
- email providers
- marketing providers
- advertising platforms
- analytics providers
- IT and security providers
- fraud-prevention providers
- professional advisers
- accountants
- lawyers
- insurers
- government authorities where legally required; and
- business successors in connection with a lawful merger, acquisition, restructuring or sale
Service providers should receive only information reasonably necessary for their role.
22. Shopify
Socialwipeout.com may operate using Shopify or related ecommerce services.
Shopify may process customer and Website information in connection with hosting, ecommerce functionality, checkout, fraud prevention and other services.
Shopify’s own processing practices are governed by its applicable privacy documentation and contractual arrangements.
23. Payment Providers
Payments may be processed by third-party payment providers.
These providers may independently process payment and fraud-prevention information.
We encourage customers to review the privacy information provided by their selected payment provider.
24. International Data Transfers
Social Wipeout operates from the Netherlands but uses service providers in multiple countries.
Personal information may therefore be processed outside your country of residence.
In particular, because our fulfilment provider is located in China, information necessary to fulfil and deliver your order may be transferred to China.
Other providers may process information in the United States or other jurisdictions.
Where the GDPR applies and personal information is transferred outside the European Economic Area to a country that does not benefit from an applicable adequacy decision, we will use an appropriate transfer mechanism where required.
Depending on the circumstances, this may include:
- European Commission Standard Contractual Clauses
- applicable adequacy decisions
- contractual safeguards
- supplementary safeguards where appropriate; or
- another lawful transfer mechanism
25. Data Minimisation
We aim to collect personal information that is adequate, relevant and limited to what is reasonably necessary for the purposes for which it is processed.
We do not intend to collect personal information simply because it may be useful in the future.
26. Data Accuracy
We take reasonable steps to keep personal information accurate where necessary.
Customers should contact us if information relevant to their relationship with Social Wipeout is inaccurate or outdated.
27. Data Retention
We retain personal information only for as long as reasonably necessary for the purpose for which it was collected and for applicable legal, accounting, tax, fraud-prevention, dispute-resolution and recordkeeping requirements.
Different categories of information may therefore have different retention periods.
For example:
- Order and transaction records may be retained for the period required under applicable tax, accounting and consumer laws.
- Customer-service communications may be retained while necessary to resolve the issue and for a reasonable period afterward for legal and business records.
- Marketing information may be retained until you unsubscribe or withdraw consent, subject to retaining limited suppression information where necessary to ensure that your opt-out is respected.
- Cookie and analytics information will be retained according to the applicable cookie or provider retention settings.
- Legal dispute information may be retained until relevant limitation periods and proceedings have expired.
We may delete or anonymise information when it is no longer reasonably necessary.
28. Security
We use reasonable technical and organisational measures appropriate to the nature of the information and risks involved.
Measures may include, where appropriate:
- access controls
- authentication
- secure ecommerce infrastructure
- restricted administrative access
- service-provider controls
- security monitoring
- encryption where appropriate
- software updates; and
- reasonable organisational safeguards
No method of electronic transmission or storage can be guaranteed to be completely secure.
29. Personal Data Breaches
If a personal-data breach occurs, we will assess and respond to it in accordance with applicable data-protection law.
Where legally required, we will notify the relevant supervisory authority and/or affected individuals within the legally applicable timeframe.
30. Cookies and Similar Technologies
Socialwipeout.com may use cookies and similar technologies.
These may include:
- strictly necessary cookies
- functional cookies
- analytics cookies
- performance cookies
- advertising cookies
- social-media technologies; and
- similar tracking technologies
Strictly necessary technologies may be used where required for operation of the Website.
Where applicable law requires consent, non-essential technologies will not be activated until appropriate consent has been obtained.
31. Cookie Consent
Visitors may be presented with a cookie-consent interface where required.
Where legally required, visitors will be able to:
- accept applicable cookies
- reject non-essential cookies
- manage preferences; and
- withdraw or change consent
Rejecting non-essential cookies should not prevent access to basic Website functionality.
More detailed information may be provided in a separate Cookie Policy.
32. Analytics
We may use analytics services to understand how visitors interact with socialwipeout.com.
Analytics information may include:
- pages visited
- session duration
- general geographic information
- device information
- referral sources
- Website interactions; and
- conversion events
Where required, analytics technologies will operate subject to appropriate consent.
33. Targeted and Behavioural Advertising
Where permitted by law and subject to required consent or opt-out rights, we may use information about Website interactions to measure or personalise advertising.
Depending on the applicable privacy law, certain advertising-related disclosures may constitute “sharing,” “targeted advertising,” “cross-context behavioural advertising,” or similar regulated activity.
Where applicable law provides an opt-out right, we will provide the required mechanism.
34. Email Marketing
We may send promotional emails where permitted by applicable law.
Where consent is required, we will obtain consent before sending such communications.
Every marketing email will provide an appropriate method to unsubscribe.
Transactional communications concerning an order, delivery, refund, security issue or customer-service matter are not necessarily marketing communications and may continue where necessary.
35. Children
Social Wipeout is an 18+ Product.
The Website and Product are not directed toward children.
We do not knowingly seek to collect personal information from children for the purpose of allowing them to purchase or participate in Social Wipeout.
If we become aware that personal information relating to a child has been collected contrary to applicable law, we will take reasonable steps to address the situation, including deletion where required.
Parents or guardians who believe a child has provided information to us may contact: socialwipeout.business@gmail.com
36. Your GDPR Rights
Where the GDPR applies, you may have the following rights:
- Right of access — to obtain information about whether and how we process your personal information and receive a copy where applicable.
- Right to rectification — to have inaccurate personal information corrected.
- Right to erasure — to request deletion in circumstances provided by law.
- Right to restriction — to request restriction of processing in applicable circumstances.
- Right to data portability — to receive certain personal information in a structured, commonly used and machine-readable format and/or transmit it to another controller where applicable.
- Right to object — to object to certain processing based on legitimate interests.
- Right to object to direct marketing — you may object to direct marketing at any time.
- Right to withdraw consent — where processing relies on consent, you may withdraw that consent.
- Rights relating to automated decision-making — where applicable.
These rights are subject to the conditions and exceptions provided by applicable law.
37. How to Exercise Your Privacy Rights
To submit a privacy request, contact: socialwipeout.business@gmail.com
Please include sufficient information to allow us to understand your request.
We may need to verify your identity before fulfilling certain requests.
We will only request information reasonably necessary for verification.
We will respond within the period required by applicable law.
38. Complaints — European Union
If you believe that your personal information has been processed unlawfully, you may contact us first so that we can investigate your concern.
You also have the right, where applicable, to lodge a complaint with a competent data-protection supervisory authority.
Because Social Wipeout is established in the Netherlands, the relevant Dutch supervisory authority is the Autoriteit Persoonsgegevens.
Your right to contact another competent supervisory authority where permitted by the GDPR is not affected.
39. United States Privacy Rights
Residents of certain U.S. states may have privacy rights under applicable state law.
Depending on your state and whether the relevant law applies to Social Wipeout, these may include rights to:
- confirm whether we process your personal information
- access personal information
- obtain a copy of personal information
- correct inaccurate personal information
- delete personal information
- opt out of certain sales of personal information
- opt out of targeted advertising
- opt out of certain profiling
- limit certain uses of sensitive personal information
- obtain information about categories of personal information collected or disclosed; and
- appeal certain decisions concerning privacy requests
The exact rights and exceptions depend on applicable state law.
40. California Privacy Rights — CCPA/CPRA
This section applies only to the extent Social Wipeout is subject to the California Consumer Privacy Act, as amended.
California residents may have rights including:
Right to Know
You may have the right to request information concerning personal information collected, used, disclosed, sold or shared.
Right to Access
You may have the right to request specific pieces of personal information collected about you, subject to applicable exceptions.
Right to Delete
You may have the right to request deletion of certain personal information, subject to statutory exceptions.
Right to Correct
You may have the right to request correction of inaccurate personal information.
Right to Opt Out of Sale or Sharing
Where applicable, you may have the right to opt out of the sale or sharing of personal information.
Right to Limit Use and Disclosure of Sensitive Personal Information
Where applicable, California residents may have rights relating to certain uses and disclosures of sensitive personal information.
Right to Non-Discrimination
We will not unlawfully discriminate against a consumer for exercising applicable CCPA rights.
California’s official guidance confirms rights to know, delete, correct, opt out of sale/sharing and limit certain uses of sensitive information.
41. Sale of Personal Information
Social Wipeout does not intend to sell personal information for monetary consideration.
However, certain privacy laws, particularly in the United States, may define “sale” or “sharing” more broadly than an ordinary exchange of information for money.
For example, certain advertising or analytics arrangements may potentially constitute “sale,” “sharing,” or targeted advertising under applicable law.
Where such laws apply, we will provide the legally required notice and opt-out mechanism.
42. Do Not Sell or Share My Personal Information
If Social Wipeout becomes subject to a law requiring a “Do Not Sell or Share My Personal Information” mechanism because of the technologies or processing we use, the appropriate mechanism will be made available.
California requires businesses subject to these provisions that sell or share information to provide the relevant opt-out mechanism.
Requests may also be submitted to: socialwipeout.business@gmail.com, where applicable.
43. Global Privacy Control
Where applicable law requires us to recognise legally valid browser-based opt-out preference signals, including Global Privacy Control (GPC), we will process those signals as required.
California’s official guidance specifically recognises GPC as a method consumers can use to exercise applicable sale/sharing opt-out rights.
44. California Notice at Collection
Where the CCPA applies to Social Wipeout, California consumers will receive the legally required information at or before the point at which applicable personal information is collected.
Depending on the information collected, categories may include:
- identifiers
- customer-record information
- commercial information
- internet or electronic network activity
- approximate geolocation information
- audio, electronic or visual information voluntarily submitted; and
- inferences where applicable
Purposes may include:
- processing orders
- fulfilment
- delivery
- customer service
- fraud prevention
- Website operation
- analytics
- advertising
- marketing
- security; and
- legal compliance
California requires covered businesses to provide notice at or before collection explaining categories collected and purposes of use.
45. California Sensitive Personal Information
We do not intend to collect or use sensitive personal information for purposes unrelated to providing our services or other legally permitted purposes.
If our practices change and California law grants a right to limit such processing, we will provide the required mechanism.
46. California “Shine the Light”
Where applicable, California residents may have rights under California’s “Shine the Light” law concerning certain disclosures of personal information to third parties for their own direct-marketing purposes.
Requests may be directed to: socialwipeout.business@gmail.com
This section applies only where the law applies to Social Wipeout and the relevant processing.
47. Do Not Track
Some browsers provide “Do Not Track” signals.
Because there is not a universally implemented standard governing every Do Not Track signal, our Website may not respond to traditional DNT signals in the same manner across all services.
This is separate from legally recognised opt-out preference signals such as GPC where applicable.
California guidance recommends that commercial websites disclose their treatment of online tracking mechanisms.
48. Other U.S. State Privacy Laws
Depending on applicable thresholds and jurisdiction, residents of states with comprehensive consumer privacy laws may have additional rights.
These may include residents of states such as:
Colorado; Connecticut; Delaware; Florida; Indiana; Iowa; Kentucky; Maryland; Minnesota; Montana; Nebraska; New Hampshire; New Jersey; Oregon; Rhode Island; Tennessee; Texas; Utah; Virginia; and other states that enact applicable comprehensive privacy legislation.
Because U.S. privacy legislation continues to change, Social Wipeout will apply applicable state-specific rights where the relevant law applies to the business and consumer.
We will not require a consumer to waive a non-waivable statutory privacy right.
49. U.S. Privacy Requests
Where applicable, U.S. residents may submit privacy requests to: socialwipeout.business@gmail.com
Please state:
- your name
- the state in which you reside
- the privacy right you wish to exercise; and
- information reasonably necessary to locate your records
We may request additional information where reasonably necessary to verify your identity.
Verification information will be used only as permitted by applicable law.
50. Authorized Agents
Where applicable U.S. privacy law permits an authorised agent to submit a request on behalf of a consumer, we may require appropriate evidence of the agent’s authority and/or verification of the consumer’s identity as permitted by law.
51. Appeals
Where applicable U.S. state privacy law provides a right to appeal our decision concerning a privacy request, instructions for submitting an appeal will be provided with the relevant response.
52. Non-Discrimination
We will not unlawfully discriminate against a person for exercising privacy rights provided by applicable law.
This includes applicable California protections concerning the exercise of CCPA rights.
53. Nevada Privacy Rights
Where Nevada privacy law applies, Nevada residents may submit applicable requests concerning covered information to: socialwipeout.business@gmail.com
We do not intend to sell covered information for monetary consideration as that concept is defined under applicable Nevada law.
54. UK Residents
Where the UK GDPR applies, UK residents may have rights substantially corresponding to applicable UK data-protection legislation, including rights relating to:
- access
- rectification
- erasure
- restriction
- data portability
- objection
- withdrawal of consent; and
- certain automated decision-making
Where legally required due to our activities in the United Kingdom, appropriate UK-specific compliance arrangements will be implemented.
55. Canadian Residents
Where Canadian privacy legislation applies to Social Wipeout, Canadian residents may have applicable rights concerning access, correction, consent and handling of their personal information.
Requests may be submitted to: socialwipeout.business@gmail.com
Any additional rights required by applicable provincial or federal law remain unaffected.
56. Business Transfers
If Social Wipeout undergoes a merger, acquisition, restructuring, financing, sale of assets or transfer of all or part of the business, personal information may be disclosed or transferred as part of that transaction where permitted by law.
Any successor will remain subject to applicable privacy obligations concerning transferred personal information.
57. Legal Requests and Protection of Rights
We may disclose personal information where reasonably necessary and legally permitted to:
- comply with applicable law
- respond to a legally valid court order
- respond to lawful requests from authorities
- enforce agreements
- investigate fraud
- protect our legal rights
- protect customers
- protect the security of our Website; or
- establish, exercise or defend legal claims
We will not voluntarily disclose personal information to authorities merely because it is requested where a legally valid basis is required.
58. Links to Third-Party Websites
Socialwipeout.com may contain links to third-party websites or services.
We are not responsible for the independent privacy practices of third parties.
Customers should review the privacy policies of those services before providing personal information.
59. Changes to This Privacy Policy
We may update this Privacy Policy from time to time to reflect:
- changes to our Website
- new service providers
- new advertising or analytics technologies
- changes to fulfilment
- new products
- changes in our business
- changes in applicable privacy law; or
- other operational changes
The updated version will be posted on socialwipeout.com with an updated “Last updated” date.
Where applicable law requires additional notice or consent for a material change, we will provide it.
60. Contact Us
For questions about this Privacy Policy or our handling of personal information, or to exercise an applicable privacy right, contact:
Social Wipeout
Crooswijkseweg 108
3034 HP Rotterdam
The Netherlands
Email: socialwipeout.business@gmail.com
Website: socialwipeout.com
Legal entity: [TO BE COMPLETED BEFORE LAUNCH]
KvK number: [TO BE COMPLETED BEFORE LAUNCH]
VAT number: [TO BE COMPLETED BEFORE LAUNCH, IF APPLICABLE]