Effective date: 2026-07-08
Platform: Google Play (Android)
This Privacy Policy describes how Lincang Qiuyingli Network Technology Co., Ltd. (“we,” “us,” or “our”) processes personal data when you download, install, register for, or use NysiaHub on Android devices distributed through Google Play. It applies to account registration, profile exploration, instant messaging, live text or video conversations, optional in-app purchases, and related support or safety features.
By creating an account or continuing to use the app after reviewing the in-app Privacy Notice, you acknowledge this Policy. If you do not agree, do not use NysiaHub.
Lincang Qiuyingli Network Technology Co., Ltd. is the data controller responsible for personal data processed through NysiaHub.
| Legal entity | Lincang Qiuyingli Network Technology Co., Ltd. |
| Registered address | Room 284, Building 19, Baishu Square, Caiyuan Community, Fengxiang Sub-district Office, Linxiang District, Lincang City, Yunnan Province |
| Privacy inquiries | astokgiovannekoch@gmail.com |
We aim to respond to verified privacy requests within 15 business days, unless applicable law permits or requires a different timeframe.
NysiaHub is intended exclusively for individuals 18 years of age or older. We do not knowingly collect personal data from anyone under 18.
At onboarding, you must confirm that you meet the age requirement. We do not operate continuous technical age verification or an ongoing age-gate beyond that first-use age declaration. If you believe a minor has provided data through the app, contact astokgiovannekoch@gmail.com and we will take appropriate steps to restrict or remove the account and associated data where feasible.
The categories of personal data we collect depend on how you use NysiaHub and which optional features you activate. We collect the following categories:
Data accessed through Camera, Microphone, and photos/media permissions is collected only in connection with the features described in Section 7 and is not accessed in the background.
We do not request location permissions for core operation of NysiaHub. Location is not accessed in the background.
We use personal data to operate, secure, and improve NysiaHub, including to:
We do not sell personal and sensitive user data.
Where applicable privacy laws require a legal basis (or lawful basis) for processing, we rely on the following grounds under GDPR Article 6–style frameworks:
| Processing purpose | Legal basis |
|---|---|
| Providing core app services (accounts, messaging, live conversations, media delivery) | Performance of a contract with you when you register and use the app |
| Profile display, discovery, and session integrity | Performance of a contract; legitimate interests in operating a functional social communication service, balanced against your rights |
| Media upload, storage, and sharing you initiate | Performance of a contract; consent where required for optional capture or upload actions |
| Analytics, diagnostics, and performance monitoring | Legitimate interests in measuring reliability and improving product quality, balanced against your rights; consent where mandated |
| Security, fraud prevention, abuse detection, and content moderation | Legitimate interests in protecting users and the service; legal obligation where applicable |
| In-app purchases and entitlement reconciliation | Performance of a contract; legitimate interests in accurate billing state |
| Safety reports and enforcement | Legitimate interests in community safety; legal obligation where applicable |
| Engaging subprocessors listed in Section 8 | Legitimate interests and performance of a contract, subject to appropriate safeguards |
When we rely on consent, you may withdraw it through in-app settings where available or by contacting astokgiovannekoch@gmail.com, without affecting the lawfulness of processing before withdrawal.
NysiaHub is built for Google Play on Android. Permissions are requested when a feature requires them. You may revoke permissions in Android system settings; certain features may then be unavailable.
| Permission | Purpose | Background access |
|---|---|---|
| Camera | Capture photos or video for profile or chat media | Not in the background |
| Microphone | Capture audio during live conversations or media you choose to record | Not in the background |
| Photos and videos (read) | Select existing media from device storage using Android scoped access (e.g., READ_MEDIA_IMAGES / READ_MEDIA_VIDEO or equivalent scoped APIs) | Not in the background |
| Photos and videos (write / MediaStore) | Save or export profile or chat media you choose to store or share from the app | Not in the background |
| Location | Not requested for standard app features | Not in the background |
We use the following categories of technology in the Android build:
These components process data only as needed to support the features described in this Policy.
We share personal data with service providers that process data on our behalf under contractual safeguards. We do not sell personal and sensitive user data. Disclosures relevant to Google Play Data safety declarations include:
Cloud Hosting / CDN
Real-time Communication / Video Infrastructure
Content Moderation Service
Analytics / Performance Monitoring
Google Play (payments)
We may also disclose data when required by law, to protect rights and safety, or in connection with a merger or asset transfer subject to continued protection.
The following reflects how data types declared in Google Play Data safety relate to collection, sharing, and necessity:
| Data type | Collected | Shared | Purpose | Required / Optional |
|---|---|---|---|---|
| Account identifiers and profile information such as nickname, avatar, bio or interest labels, and authentication session data | Yes | Yes | Provide registration, sign-in, profile display, discovery, session integrity, fraud prevention, and account security | Required when you create or use an account |
| Instant messages, conversation history, and related messaging metadata between users | Yes | Yes | Deliver private messaging, synchronize conversations, support notifications, and enforce community policies | Collected when you send or receive messages inside the app |
| Live video and audio session content processed when you use real-time chat or video conversation features | Yes | Yes | Enable live text or video conversations, connection quality management, and safety workflows | Required when you initiate or join live conversation sessions |
| Photos and videos captured with the camera or selected from your library for profile or shared media | Yes | Yes | Display profile visuals, support media sharing in chats, and assist moderation where applicable | Optional; collected only when you capture, upload, or choose profile or chat media |
| Usage events and diagnostics, including Device ID where applicable | Yes | Yes | Measure performance, troubleshoot issues, improve product quality, and protect against abuse | Required |
| In-app purchase and entitlement signals processed in connection with Google Play Billing | Yes | Yes | Deliver digital goods or features, validate entitlements with Google Play, and keep purchase state consistent | Collected when you make or restore purchases as applicable |
| Safety reports, block records, and related context you submit | Yes | Yes | Investigate abuse reports, enforce policies, and protect users | Optional; only when you use report or block safety flows |
We retain personal data only as long as reasonably necessary for the purposes described in this Policy, including:
You may request deletion of your account and associated personal data by contacting astokgiovannekoch@gmail.com. Some data may be retained where legally required or for legitimate security and compliance purposes.
We implement administrative, technical, and organizational measures designed to protect personal data, including access controls, encryption in transit where supported, monitoring, and vendor management. No method of transmission or storage is completely secure. If we become aware of a breach affecting your personal data, we will notify you or regulators as required by applicable law.
Because we operate globally and use cloud infrastructure, personal data may be processed in countries other than your own. Where required, we use appropriate safeguards—such as standard contractual clauses or equivalent mechanisms—to protect data transferred across borders.
Depending on your location, you may have rights regarding your personal data. Subject to verification and applicable exceptions, these may include:
Correction and rectification: If any personal data or personal information we maintain about you is inaccurate or incomplete, you may request correction (rectification) by emailing astokgiovannekoch@gmail.com with sufficient detail to identify the record and the change requested. We will review verified requests and respond within 15 business days where applicable law requires a response.
To exercise any right, email astokgiovannekoch@gmail.com from the address associated with your account when possible. We may need to verify your identity before fulfilling requests.
If you reside in California, the California Consumer Privacy Act (CCPA) and the California Privacy Rights Act (CPRA) provide certain rights regarding personal information, including the right to know, access, delete, and correct personal information, and to limit use of sensitive personal information where applicable.
California residents may submit requests to astokgiovannekoch@gmail.com. We will respond within 15 business days unless a longer period is permitted by law.
Right to know: California residents have the right to know whether we collect personal data, the categories collected, purposes of use, and whether personal data is shared with third parties. To exercise the right to know whether we process your personal information, email astokgiovannekoch@gmail.com. Our response will address applicable categories of personal data, purposes, and shared disclosures in plain language.
Meaning of “share” under California law: Under the CCPA, “share” and “sharing” have a specific definition under California law. They can include making personal information available to a third party for cross-context behavioral advertising, even when no money changes hands. This Policy’s main data-sharing section describes what we actually do. We do not sell personal and sensitive user data. California residents may contact astokgiovannekoch@gmail.com to exercise the right to know about sharing practices; we respond within 15 business days.
If you reside in Virginia, the Virginia Consumer Data Protection Act (VCDPA) grants rights to access, correct, delete, and obtain a copy of personal data, and to appeal certain decisions. Submit requests to astokgiovannekoch@gmail.com; we respond within 15 business days where applicable.
How to opt out: Virginia residents may opt out of certain processing as follows:
We have designated Data Protection Officer, Lincang Qiuyingli Network Technology Co., Ltd. to oversee data protection compliance for NysiaHub. The DPO serves as a dedicated contact for inquiries relating to the processing of personal data, applicable privacy rights, and compliance obligations under relevant laws. Users may contact Data Protection Officer, Lincang Qiuyingli Network Technology Co., Ltd. regarding data protection and privacy matters at astokgiovannekoch@gmail.com. The DPO coordinates responses to privacy inquiries, assists with rights requests where appropriate, and works with internal teams to address data protection concerns in a timely manner.
We may update this Privacy Policy to reflect changes in our practices, legal requirements, or product features. When we make material changes, we will provide notice through the app, Google Play listing, or other reasonable means. The “Effective date” at the top indicates the latest revision. Continued use after the effective date constitutes acceptance of the updated Policy where permitted by law.
For privacy questions, rights requests, or complaints:
| Controller | Lincang Qiuyingli Network Technology Co., Ltd. |
| Address | Room 284, Building 19, Baishu Square, Caiyuan Community, Fengxiang Sub-district Office, Linxiang District, Lincang City, Yunnan Province |
| astokgiovannekoch@gmail.com | |
| DPO | Data Protection Officer, Lincang Qiuyingli Network Technology Co., Ltd. — astokgiovannekoch@gmail.com |
| Response target | 15 business days for verified requests |
If you are unsatisfied with our response, you may have the right to lodge a complaint with a supervisory authority in your jurisdiction, particularly if you are located in the EEA, UK, or Switzerland.
We do not sell personal and sensitive user data.
Users have the right to know whether their personal data is shared with third parties and for what business purposes. We explain sharing in the Information sharing section above. Email astokgiovannekoch@gmail.com with subject Sharing Disclosure Request to exercise this right; we aim to respond within 15 business days where feasible.
Depending on applicable law, you have the right to request access to the personal data that we collect about you (including, where applicable, the right to know whether we process certain categories of personal data concerning you). To exercise this right, email astokgiovannekoch@gmail.com with a clear description of your request and enough information for us to verify your identity and locate the relevant records.
You have the right to request deletion of personal data that we collect about you, subject to lawful exceptions (for example records we must retain for security, audits, disputed transactions, or legal process). Submit your request by emailing astokgiovannekoch@gmail.com with subject Deletion Request, or follow the account deletion paths described elsewhere in this policy when you use a registered profile.
How your users can opt out of the sharing or selling of their data under applicable U.S. state laws and similar regimes. How to opt-out of data sale/targeted ads: email astokgiovannekoch@gmail.com with subject Opt-out of sharing, Opt-out of sale, or Opt-out of targeted advertising to opt out of sharing, selling, or targeted ads to the extent required by law. Where verification is required, we aim to acknowledge and process qualifying requests within about 15 business days.