CelestHub Privacy Policy

Last updated: 2026-07-08

Controller: Dongguan Fushan Clothing Co., Ltd.

Contact: erinleonilphungskil@gmail.com

Privacy Policy for CelestHub

Effective date: 8 July 2026

Platform: Google Play distribution for Android devices

Operator: Dongguan Fushan Clothing Co., Ltd.


1. Scope and Who This Policy Covers

This Privacy Policy describes how Dongguan Fushan Clothing Co., Ltd. (“we,” “us,” or “our”) processes personal data when you download, install, register for, or use CelestHub from Google Play on an Android device. It applies to adults who meet our eligibility requirements and to visitors who interact with our privacy-related communications.

The policy covers processing connected to account registration, profile exploration, instant messaging, live text or video conversations, optional in-app purchases through Google Play Billing, safety reporting, and the technical operations that keep the service reliable and secure. It does not govern third-party websites, payment processors’ standalone policies, or services you reach outside the app unless we expressly state otherwise.

By creating an account or continuing to use the app after reviewing the in-app Privacy Notice and User Terms, you acknowledge this policy. Where local law requires separate consent for specific processing, we will request it at the point of collection.


2. Controller Details and How to Reach Us

For purposes of applicable privacy laws, Dongguan Fushan Clothing Co., Ltd. is the data controller responsible for personal data processed through CelestHub.

ItemDetail
ControllerDongguan Fushan Clothing Co., Ltd.
AddressRoom 405, No.22 Huangcun Commercial Street, Nancheng Sub-district, Dongguan City, Guangdong Province
Privacy contacterinleonilphungskil@gmail.com
Response timeframeWe aim to respond to verified privacy requests within 15 business days, unless a longer period is permitted by law.

You may use the privacy contact for access, deletion, correction, objection, and regional rights requests described in this document.


3. Data Protection Officer (DPO)

We have designated Data Protection Officer, Dongguan Fushan Clothing Co., Ltd. to oversee data protection compliance for CelestHub. Data Protection Officer, Dongguan Fushan Clothing Co., Ltd. serves as our formal contact for matters relating to the processing of personal data, the exercise of applicable privacy rights, and questions about how we apply this policy in practice.

You may contact the DPO regarding data protection and privacy matters at erinleonilphungskil@gmail.com. The DPO reviews inquiries concerning lawful processing, user rights, and coordination with our security and product teams where a request requires technical verification or escalation.


4. Information Categories and Collection Sources

We collect personal data from the following sources: information you provide directly; content you generate through app features; technical signals from your Android device and the app; and information received from integrated services such as Google Play Billing and our contracted infrastructure providers.

4.1 Data you provide

4.2 Data generated through use of the app

4.3 Data safety disclosure summary

The following reflects how key data types relate to collection, sharing, and whether they are required for core use:

Data typeCollectedSharedPurposeRequired / optional
Account identifiers and profile information such as nickname, avatar, bio or interest labels, and authentication session dataYesYesProvide registration, sign-in, profile display, discovery, session integrity, fraud prevention, and account securityRequired when you create or use an account
Instant messages, conversation history, and related messaging metadata between usersYesYesDeliver private messaging, synchronize conversations, support notifications, and enforce community policiesCollected 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 featuresYesYesEnable live text or video conversations, connection quality management, and safety workflowsRequired when you initiate or join live conversation sessions
Photos and videos captured with the camera or selected from your library for profile or shared mediaYesYesDisplay profile visuals, support media sharing in chats, and assist moderation where applicableOptional; collected only when you capture, upload, or choose profile or chat media
Usage events and diagnostics, including Device ID where applicableYesYesMeasure performance, troubleshoot issues, improve product quality, and protect against abuseRequired
In-app purchase and entitlement signals processed in connection with Google Play BillingYesYesDeliver digital goods or features, validate entitlements with Google Play, and keep purchase state consistentCollected when you make or restore purchases as applicable
Safety reports, block records, and related context you submitYesYesInvestigate abuse reports, enforce policies, and protect usersOptional; only when you use report or block safety flows

We do not require you to provide data beyond what is needed for a feature you choose to use; however, refusing required account or session data may prevent registration, messaging, or live conversation functionality.


5. Purposes of Processing

We use personal data to:

We do not use personal data for purposes materially incompatible with those described without providing appropriate notice where required by law.


6. Device Permissions on Android

CelestHub requests Android permissions only when a feature you use requires them. You may grant or revoke many permissions through your device settings; revoking a permission may limit or disable related functionality.

PermissionWhen usedBackground use
CameraCapturing photos or video for profile or chat media, and during live video conversations while the feature is activeNot used in the background
MicrophoneRecording audio during live conversations and when you choose to send voice-related mediaNot used in the background
Photos and videos (read)Selecting existing images or videos from device media via Android scoped access (including READ_MEDIA_IMAGES / READ_MEDIA_VIDEO or equivalent scoped access as applicable on your Android version)Not used in the background
Photos and videos (write / MediaStore)Saving or sharing profile or chat media you create or export from the appNot used in the background
LocationNot requested for core features described in this policyNot used in the background

Permissions are invoked in connection with foreground features. We do not continuously access camera, microphone, photos, or location when you are not actively using the related feature.


7. Third-Party Recipients, Processors, and SDKs

We engage service providers and platform components that process personal data on our behalf or as necessary to deliver the app. We do not sell personal and sensitive user data.

Integrated components and categories include:

7.1 Structured sharing disclosures

Recipient categoryData typesPurpose
Cloud Hosting / CDNPhotos and videos uploaded by users; Profile media and message attachments; Media file metadata; Storage access related file metadataStore, deliver, and accelerate profile media, messages, and related content for core app features
Real-time Communication / Video InfrastructureLive video and audio session content; Instant messaging payloads and delivery metadata; Connection quality and signaling diagnosticsRoute, synchronize, and deliver live conversations and instant messaging between users
Content Moderation ServiceUser-uploaded photos and videos; Chat or profile content flagged for review; Related moderation metadataDetect and prevent illegal, abusive, or policy-violating content and support community safety
Analytics / Performance MonitoringUsage events; Device and app diagnostics; Device IDMeasure performance, troubleshoot issues, improve product quality, security, fraud prevention, and analytics
Google Play (payments)Order and entitlement information; Transaction identifiers processed in connection with Google Play BillingProcess in-app purchases, deliver digital goods or features, and reconcile entitlements

We may also disclose information where required by law, to protect rights and safety, or in connection with a merger or acquisition subject to appropriate safeguards.

Contractual terms with processors generally require confidentiality, security measures, and processing only according to our instructions, except where law requires otherwise.


8. Retention, Deletion, and Storage

We retain personal data only as long as reasonably necessary for the purposes described in this policy, including operating the service, meeting legal obligations, resolving disputes, and enforcing agreements.

CategoryTypical retention approach
Account and profile dataRetained while your account is active; deleted or anonymized within a reasonable period after verified deletion request or prolonged inactivity, subject to legal holds
Messages and conversation historyRetained to deliver the service and support safety investigations; deleted according to account deletion workflows or feature-specific settings where available
Live session contentProcessed to enable sessions; retained only as needed for delivery, quality diagnostics, and safety review, then removed or minimized per operational schedules
Media uploadsRetained while associated with your profile or messages; removed when you delete the content or your account, subject to backup and moderation cycles
Diagnostics and usage eventsRetained for a limited operational window appropriate for analytics and troubleshooting, then aggregated or deleted
Purchase recordsRetained as needed to validate entitlements and meet tax, accounting, or fraud-prevention obligations

Data may be stored in cloud facilities operated by our hosting partners in jurisdictions that differ from your country. Where required, we implement appropriate transfer safeguards.

When you request deletion, we will take reasonable steps to remove personal data from active systems, though residual copies may persist in backups for a limited period or where retention is legally required.


9. Security Measures and Incident Response

We apply administrative, technical, and organizational measures designed to protect personal data against unauthorized access, alteration, disclosure, or destruction. Measures may include access controls, encryption in transit for sensitive communications, monitoring for abusive patterns, and vendor security requirements.

No method of transmission or electronic storage is completely secure. If we become aware of a personal data breach likely to pose a significant risk to your rights, we will take steps required by applicable law, which may include notification to regulators and affected individuals.


10. Your Rights and How to Exercise Them

Depending on your location, you may have rights regarding your personal data. To submit a request, email erinleonilphungskil@gmail.com with enough information for us to verify your identity and locate relevant records. We aim to respond within 15 business days unless applicable law permits an extension.

Rights may include:

We may decline requests that are manifestly unfounded, excessive, or prohibited by law, and we will explain our reasoning where required.


Where the GDPR or similar laws apply, we rely on a lawful basis (also referred to as a legal basis) for each main processing purpose:

Processing purposeLawful basis
Providing core app services, account registration, sign-in, profile display, messaging, and live conversationsPerformance of a contract — processing necessary to deliver the features you request under our User Terms
Security, fraud prevention, abuse detection, diagnostics, and service improvementLegitimate interests — we balance these interests against your rights and implement safeguards such as data minimization and access controls
Optional media uploads, certain safety submissions, and any processing where consent is required by lawConsent — where applicable, you may withdraw consent through in-app controls or by contacting us
Tax, accounting, regulatory responses, and mandatory record-keepingLegal obligation — processing necessary to comply with applicable law

When we engage processors such as cloud hosting, real-time infrastructure, moderation, analytics, or Google Play Billing components, processing is carried out under instructions consistent with the bases above.


12. California and Virginia Privacy Rights

This section supplements the policy for residents of U.S. states with comprehensive privacy laws.

12.1 California residents (CCPA / CPRA)

The California Consumer Privacy Act (CCPA), as amended by the California Privacy Rights Act (CPRA), provides California residents with rights including:

To exercise these rights, contact erinleonilphungskil@gmail.com. We will verify your request and respond within 15 business days unless a longer period is allowed by law.

California residents have the right to know whether we have collected, and in some cases whether we have shared, categories of personal data and personal information about them with third parties for business purposes, as described in Sections 4 and 7 of this policy. This disclosure is provided to satisfy transparency obligations under the CCPA.

Under the CCPA, the terms “share” and “sharing” have a specific definition under California law that differs from ordinary usage. Sharing can include making personal information available to a third party for cross-context behavioral advertising, even when no money changes hands. CelestHub does not engage in cross-context behavioral advertising as a revenue model. For a complete description of how we disclose data to service providers and platforms, see Section 7. California residents may exercise the right to know whether personal information has been shared by emailing erinleonilphungskil@gmail.com; we will respond within 15 business days.

12.2 Virginia residents (VCDPA)

The Virginia Consumer Data Protection Act (VCDPA) grants Virginia residents rights to access, correct, delete, and obtain a copy of personal data, and to appeal our response if a request is denied. Submit requests to erinleonilphungskil@gmail.com; we aim to respond within 15 business days.

How to opt out of certain processing under the VCDPA:

  1. Targeted advertising — We do not use personal data for targeted advertising as defined under the VCDPA. If you believe otherwise or wish to confirm your preferences, email erinleonilphungskil@gmail.com to submit an opt-out request.
  2. Sale of personal data — We do not sell personal data. To confirm this status or request related assurances, contact erinleonilphungskil@gmail.com.
  3. Profiling with legal or similarly significant effects — We do not conduct profiling that produces legal or similarly significant effects concerning you. If you have questions or wish to opt out of any future profiling that would fall within VCDPA scope, email erinleonilphungskil@gmail.com.

13. Rights for EEA, UK, and Swiss Users

If you are located in the European Economic Area, the United Kingdom, or Switzerland, Sections 10 and 11 apply to you with full force. You may contact erinleonilphungskil@gmail.com or our DPO for GDPR-related inquiries. International transfers rely on appropriate safeguards such as standard contractual clauses where required.


14. International Data Transfers

Because we use cloud-hosted and global infrastructure, personal data may be processed in countries other than your own. Where law requires, we implement transfer tools and contractual protections designed to ensure an adequate level of protection.


15. Age Eligibility and Minors

CelestHub is intended only for adults aged 18 and older. We do not knowingly collect personal data from anyone under 18.

Eligibility is confirmed once during onboarding through an age declaration you affirm in the app. We do not operate continuous technical age verification or an age-gate beyond that first-use declaration. If you believe a minor has provided personal data, contact erinleonilphungskil@gmail.com and we will take appropriate steps to delete the information.


16. Policy Updates

We may update this Privacy Policy to reflect changes in law, product features, or processing practices. 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 when the current version took effect. Continued use after the effective date of an update constitutes acknowledgment where permitted by law.


17. Contact

For privacy questions, rights requests, or concerns about this policy:

We appreciate clear descriptions of your request so we can assist you efficiently within our stated response timeframe.

No Sale Statement

We do not sell personal and sensitive user data.

Third-Party Sharing Mapping

Data Safety Mapping

Sensitive Permissions Background Access

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 erinleonilphungskil@gmail.com with subject Sharing Disclosure Request to exercise this right; we aim to respond within 15 business days where feasible.

Play storefront user rights summary

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 erinleonilphungskil@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 erinleonilphungskil@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 erinleonilphungskil@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.