WallPil · Legal & Privacy
This notice explains how Xiangxiang Chadu Trading Co., Ltd. (“WallPil,” “we,” “us,” or “our”) handles personal data when you use the WallPil mobile application distributed on Google Play. The service is intended exclusively for adults aged 18 and over. WallPil does not offer account registration or sign-in; continued use after acknowledging this notice and the Terms of Use constitutes your agreement to this processing where consent or contract is required.
Data controller. Xiangxiang Chadu Trading Co., Ltd., No. 21, Xinjie Community, Maotian Town, Xiangxiang, Xiangtan City, Hunan Province.
Privacy contact / Data Protection contact. You may reach us for privacy inquiries, data subject requests, or supervisory authority referrals at customer@chadutrading.com. Where applicable law requires a Data Protection Officer (DPO) or representative for the European Economic Area (EEA), the United Kingdom, Switzerland, or Brazil, the same channel will coordinate routing to the designated contact unless we publish an updated designation.
Regional nuance. Some jurisdictions use different titles (for example, “data controller” under the UK GDPR and EU-derived laws, “business” or “controller” under U.S. state privacy laws, and “controller” under the Lei Geral de Proteção de Dados (LGPD)). This notice uses terms that align with the law most specific to you while describing the same organization named above.
WallPil is designed for individuals who are at least 18 years old and reside or access the app in locations where use is lawful. Although WallPil does not operate a standalone age-verification workflow, you represent that you meet this requirement. We do not knowingly collect personal data from anyone under 18. If you believe we have received such data, contact us promptly at the email above and we will take appropriate steps to delete it where required by law.
Because WallPil does not maintain user accounts, most data is device- or session-oriented and tied to how you interact with the app, subject to your device and Google Play settings. Depending on your choices, we may process:
WallPil requests access only where a feature needs it. Denying a permission disables the related feature until you allow it in system Settings.
Where the EU General Data Protection Regulation (GDPR), the UK GDPR, or the revised Swiss Federal Act on Data Protection (FADP) applies, we rely on one or more of the following legal bases:
For sensitive categories of data under applicable laws (for example, certain health-adjacent inferences), we minimize collection and process only what you manifestly make available through optional features, with additional safeguards where required.
This section gives additional detail for residents of California and, where applicable, Virginia, Colorado, Connecticut, Utah, and other U.S. states with comprehensive consumer privacy statutes. If you are a California resident, the California Consumer Privacy Act of 2018, as amended by the California Privacy Rights Act of 2020 (collectively, the CCPA), may afford you the rights summarized below when we act as a “business” with respect to your “personal information” as those terms are defined in the CCPA.
The categories described in Section 3 generally correspond to the following CCPA categories, as applicable: identifiers; commercial information; internet or other electronic network activity information; geolocation data (coarse, if collected); audio, electronic, visual, or similar information; and inferences drawn to personalize or improve the service.
If you are a California resident, the CCPA grants you a right to know whether we have sold your personal information and a right to know whether we have shared your personal information, including whether we have shared personal information for cross-context behavioral advertising, in each case as “sell,” “share,” and related terms are construed under the CCPA and its implementing regulations. You may exercise this right by submitting a verifiable consumer request as described in Section 7.5.
When responding to a qualifying request, we will provide the disclosures the CCPA requires for the preceding twelve (12) months (or other period the statute mandates), which may include, where applicable: the categories of personal information sold or shared; the categories of third parties to whom personal information was sold or shared; and other statutory details tied to those activities.
Our practices in plain terms. We do not sell lists of users or exchange contact databases for cash consideration. Certain integrations (for example, analytics or advertising-measurement SDKs described in Section 15) can cause some U.S. laws to treat limited disclosures of identifiers or usage events as a “sale” or as “sharing” for cross-context behavioral advertising when those disclosures fall within the statutory definitions—even if we receive no direct payment. If any activity we control qualifies under the CCPA, the disclosures above explain how you may learn whether selling or sharing has occurred and how to opt out as described in Section 9.
Subject to verification, exceptions, and the limits of applicable law, California residents may exercise the following rights under the CCPA (in addition to the sale/share transparency rights in Section 7.2):
Residents of these states may have comparable rights—including access, correction, deletion, opting out of targeted advertising or “sales” as locally defined, portability where offered, and appeal rights where required. The categories above generally map to disclosures those statutes expect.
To exercise any CCPA or similar state right (including the right to know whether personal information has been sold or shared), email customer@chadutrading.com. Use the subject line “WallPil — California / U.S. Privacy Request” (or specify “CCPA Right to Know — Sale/Share” if your request is limited to sale/share transparency). Include enough detail for us to verify your identity and locate relevant records (for example, the Google Play order identifier for purchases, device model, or approximate dates of app feedback). We will confirm receipt and respond within the timeframes the CCPA and other applicable laws require, unless an extension is permitted.
Authorized agents. You may designate an authorized agent where state law allows; we may require signed permission, direct verification from you, or proof of agency, and may deny fraudulent or unverifiable requests.
Financial incentives. We do not offer payments, price discounts, or service features conditioned on your agreement to the “sale” or “sharing” of personal information as those concepts are used in the CCPA.
Appeals. If we deny a request and your state law requires an appeals process, reply to our decision email and include “Appeal” in the subject line; we will explain how to escalate as applicable law requires.
If you are in Brazil, the LGPD grants rights such as confirmation of processing, access, correction, anonymization, blocking or deletion of unnecessary data, portability where applicable, information about sharing, and revocation of consent when consent is the basis. Depending on the processing activity, we rely on appropriate legal grounds under Article 7 of the LGPD, including consent where required, performance of agreements, compliance with legal obligations, exercise of rights in judicial or administrative proceedings, protection of life or physical safety, protection of health in regulated professional settings, credit protection, our legitimate interests with impact assessments where appropriate, and other bases permitted by law. You may petition the national data protection authority (Autoridade Nacional de Proteção de Dados) regarding matters within its competence.
Users in other countries may have analogous rights under local statutes; where those rights conflict with this notice, the stricter or more specific local rule governs only to the extent required.
California residents may combine this opt-out with the right to know whether personal information is sold or shared described in Section 7.2 by contacting us using the same email address and clarifying both requests in a single message if you prefer.
You may instruct us not to “sell” or “share” your personal information for cross-context behavioral advertising (as those terms are defined under U.S. state law, including the CCPA) by emailing customer@chadutrading.com with the subject line “WallPil — Privacy Opt-Out.” Include a description of your device and enough detail for us to locate records (for example, the Google Play order ID for purchases or approximate dates of feedback). Where Google Play or your Android device provides a global opt-out signal (such as an opt-out preference signal recognized under the CCPA), we will honor that signal to the extent legally required once technically feasible.
You may also limit certain analytics or personalized advertising through your device settings (for example, resetting or restricting advertising IDs) and through Google’s own controls.
We may process and store information in jurisdictions outside the one where you live, including where our service providers maintain facilities. When we transfer personal data from the EEA, UK, Switzerland, or other regions with transfer rules, we implement appropriate safeguards such as Standard Contractual Clauses, the UK International Data Transfer Addendum, or other lawful mechanisms, plus supplementary measures where required following regulatory guidance.
We keep personal data only as long as needed for the purposes above, including satisfying legal, tax, or accounting duties. Diagnostics logs and ephemeral media may be deleted or aggregated sooner. Uploaded content you delete within the app will be removed from active systems within a commercially reasonable period, subject to backup cycles and legal holds.
We use administrative, technical, and organizational measures designed to protect personal data against unauthorized access, loss, or alteration. No method of electronic transmission or storage is completely secure; please protect your device with a screen lock and current OS patches.
Depending on your location, you may have the right to access, rectify, erase, restrict processing, object to processing based on legitimate interests, data portability (for data you provided where processing is automated and contractual/consent-based), and to withdraw consent where processing is consent-based. You may lodge a complaint with a supervisory authority in the country of your habitual residence, place of work, or place of an alleged infringement. A list of EU supervisory authorities is publicly available; the UK Information Commissioner’s Office and the Swiss Federal Data Protection and Information Commissioner are examples of relevant regulators.
To exercise rights, email customer@chadutrading.com. We may need to verify your request and may decline manifestly unfounded or excessive requests as permitted by law.
We do not use fully automated decisions that produce legal or similarly significant effects solely based on profile scoring. Features that reorder content may use simple heuristics but do not replace human judgment for rights-impacting outcomes.
WallPil may integrate SDKs or services provided by Google and other partners for distribution, payments, analytics, advertising measurement, crash reporting, or cloud storage. Those providers process data under their own policies. We encourage you to review Google Play’s terms and privacy materials, and to use device controls to shape sharing.
We may update this notice to reflect product changes, legal developments, or clarity improvements. Material changes will be highlighted in-app or through Google Play update notes where appropriate. The “Last updated” date above will change when we publish revisions.
Questions about this Privacy Notice: customer@chadutrading.com
Alternative contact (where needed for cross-border correspondence): igereichelsteven@gmail.com