CCPA Privacy Notice — Tracker Alert & Device Scan

Applies to: Tracker Alert & Device Scan · Effective: September 9, 2026 · Version: 2.0 · Published by: romajionline.date

This notice supplements our Privacy Policy for California residents under the California Consumer Privacy Act as amended by the CPRA (“CCPA”). If there is a conflict, this notice controls for California residents on CCPA topics.

1. Categories of personal information

In the prior 12 months we may have collected the following categories (as defined by CCPA), depending on how you use Tracker Alert & Device Scan:

CCPA categoryExamples in this App
IdentifiersAdvertising ID, IP address, device identifiers, email if you contact us
Commercial informationPurchase or subscription status via Google Play
Internet / electronic activityApp interactions, ad impressions/clicks, diagnostics
Geolocation dataApproximate location derived from IP or precise location if you grant permission for a location feature
InferencesLimited inferences by advertising partners for ad delivery where allowed
Device or other IDsNearby BLE / tracker identifiers observed during scans

We do not collect government ID numbers, complete payment card numbers, or biometric templates for identity verification in typical builds of this App.

2. Sources

Personal information comes from: you (when you use features or email us); your device and the App; Google Play; and service providers such as analytics, crash reporting, and advertising partners described in the Privacy Policy.

3. Business and commercial purposes

We use personal information to: provide and improve the App; measure performance and fix crashes; process purchases; show and measure advertising; detect fraud and secure the service; respond to support and rights requests; and comply with law. See the purposes table in our Privacy Policy.

4. Disclosure, sale and sharing

We disclose personal information to service providers and contractors who help operate the App (hosting, analytics, crash reporting, ads consent, advertising, billing) under contracts that limit their use.

We do not sell personal information for money. Cross-context behavioral advertising through third-party ad SDKs may be treated as a “sale” or “sharing” under CCPA. Categories that may be shared for that purpose include identifiers, internet activity, and approximate location.

We do not knowingly sell or share personal information of consumers under 16.

5. Your California rights

Subject to exceptions in the CCPA, you may request:

You may designate an authorized agent. We will verify requests as required by law (for example, by confirming control of an email address you used to contact us or other account signals).

6. Do Not Sell or Share / Global Privacy Control

To opt out of sale or sharing for cross-context behavioral advertising:

Where required and technically feasible, we treat a browser or device Global Privacy Control (GPC) signal as a valid opt-out request for that browser or device context.

7. Sensitive personal information

If we process sensitive personal information (for example, precise geolocation when you enable a location feature), we use it to provide the feature you requested and for purposes permitted by CPRA, not to infer characteristics for unnecessary cross-context advertising.

8. Retention

We retain personal information as described in the Privacy Policy retention section: on-device data until you clear it; analytics/crash data within vendor windows; purchase and support records as needed for entitlements, accounting, and legal claims.

9. Contact

California privacy requests: [email protected]

Publisher: romajionline.date · App: Tracker Alert & Device Scan

Related documents: Privacy Policy · Terms of Use