Draft legal notice
Privacy Notice
This draft explains how Famvesta expects to handle personal, household and financial information while providing the service. It should be reviewed by a qualified solicitor before unrestricted public launch.
How Famvesta uses information
Famvesta processes information to provide, secure, support and operate household finance workspaces, and to meet legal obligations. The service necessarily processes user data where features such as authentication, budgets, accounts, transactions, documents, notifications, imports, reports and preferences are used.
Information stored
Depending on the features used, Famvesta may store household details, membership and permission records, account and transaction information, category and budget data, debt and savings-goal records, document metadata and files, notification preferences, audit events, technical logs, device/session information and support information.
Advertising and data selling
Famvesta does not sell personal data. Famvesta does not sell financial data or use it for advertising.
Cookies and local storage
Famvesta uses essential cookies or equivalent browser storage for authentication, security, fraud prevention, household access, offline-readable summaries and appearance preferences. Protected financial routes are not designed for broad public indexing or broad sensitive-data caching.
Household access
Household information is restricted according to membership and permissions. Support access should remain limited, auditable and GDPR-conscious.
Processors and retention
Famvesta may use infrastructure providers as processors where applicable. Information is retained only as needed for the service, security, recovery, audit integrity and legal obligations, then deleted or anonymised where appropriate.
Your enquiries
For privacy, access, correction, export or deletion enquiries, use the approved Famvesta contact route once published. Until production contact details are approved, use: privacy-contact-placeholder@example.invalid.