Privacy Policy (EN_GB) - Non-Japanese Sites
Plausible-only analytics for EN_GB/DE/FR/NL/SV/IT/KO pages
READING GUIDE
What you will find on this page
A quick overview of what Privacy Policy (EN_GB) - Non-Japanese Sites covers before you read in detail.
1. Scope
This policy applies to TinyWag pages published in English, German, French, Dutch, Swedish, Italian, and Korean. Last updated: 23 February 2026.
2. Contact
Contact for privacy enquiries and rights requests: hello@tinywag.com
3. Data We Collect
We collect anonymised, aggregate statistics such as page views, referrer category, device type, and language/country-level trends.
We do not collect names, email addresses, or other direct identifiers through analytics.
4. Purpose of Processing
We use anonymised trend data to improve content and usability, understand aggregate usage patterns, and support future service improvements or potential partnerships based on non-identifiable statistics.
5. Analytics Setup (Plausible)
We use Plausible Analytics. It is cookie-less and does not perform personal profiling.
Raw IP addresses are not stored. Any strictly technical short-lived IP handling is irreversibly hashed and discarded.
6. Cookies and Google Tags
On non-Japanese sites, we use Plausible Analytics only.
We do not use analytics or advertising cookies.
We do not run Google-based analytics or advertising tags on these pages.
Because this setup is cookie-free, we do not display a cookie consent banner on these pages.
7. Data Protection Rights
We respect applicable data protection laws, including GDPR where applicable. Users may request access, rectification, erasure, restriction, or objection where legally available by contacting hello@tinywag.com.
Please include your name, contact email, relevant data scope, and requested right(s). SLA: acknowledgement within 3 business days; substantive response within 30 days (extendable to 60 days for complex cases with notice).
8. EU Representative and Future Review
TinyWag is currently operated as a non-commercial personal blog with limited, low-risk processing. Therefore, no EU representative is currently appointed under GDPR Article 27.
We will review this position immediately if monetisation starts, ongoing contracted data provision to companies begins, or EU-facing processing scales beyond occasional/limited scope.