Privacy Policy
Version 1.2 — Effective 12 August 2026
This Privacy Policy explains how Selodap Limited (the "Contracting Entity" or "we", "us", "our") processes personal information when you use https://tempteed.com and related services worldwide (the "Service").
The Service is offered in countries and territories where the Service is available.
This Policy describes our practices for all users and sets out additional rights that may apply depending on your User Market. Mandatory local rights always prevail.
Controller: Selodap Limited, Rm 511, 5/F, Ming Sang Industrial Building, 19-21 Hing Yip Street, Kwun Tong, Hong Kong, Company Registration No. 80690841 (Hong Kong) — Email: [email protected]
1. Scope — Adults Only
The Service is an adult-only online dating platform strictly reserved for persons aged 18 or over. We do not knowingly process data of minors; if we learn that data relates to a minor, we delete it and terminate the related account (see Sections 1 and 8 of the Adult Content & Age Policy).
2. Data We Process
2.1 Data you provide
- Account data: username, email address, password (hashed), gender, date of birth, city/postal code, country, profile attributes and free-text biography.
- Consent and attestation records: each acceptance or withdrawal of terms, privacy acknowledgement, adult-content consent, marketing/push opt-ins, and age attestations — together with timestamp, IP address, browser user agent, domain and the exact document version concerned. These records are our legal evidence of your choices and are retained accordingly.
- User content: photos, videos, messages, likes, gifts and other interactions.
- Age-verification captures: if you choose the one-time capture verification, the image you submit. It is stored in a dedicated private storage area, is never added to your gallery, is never made public, and is deleted automatically as soon as a decision is made (or at the latest after 30 days); we retain only a non-reversible digital fingerprint and a minimal record of the decision as audit evidence.
- Payment data: transactions, package purchases, subscription status, and tokens/references provided by our payment processors. We do not store full card numbers.
- Support communications.
2.2 Data collected automatically
- Technical data: IP address, user agent, device type, language, approximate location derived from IP, login timestamps.
- Device fingerprint data used for fraud prevention, ban enforcement and account security.
- Usage data: pages/screens viewed, features used, message counters, session activity.
- Cookies and similar technologies as described in the Cookie Policy.
2.3 Data from third parties
- Social sign-on providers (if you use them): name, email, avatar, provider ID.
- Advertising/affiliate partners: campaign identifiers attached to your registration.
- Payment providers: payment confirmation and anti-fraud signals.
3. Purposes and Legal Bases
We process personal information for the purposes below. The legal basis depends on your User Market; the table uses common privacy-law terminology — equivalent concepts apply under the laws applicable to you (e.g. consent, contract, legal obligation, legitimate interests).
| Purpose | Typical legal basis |
|---|---|
| Providing the Service, account management, messaging | Contract / legitimate interests |
| Processing payments, subscriptions, Coins | Contract; legal obligation (tax/accounting) |
| Age attestation and age verification, minor protection | Legal obligation; legitimate interests; consent where required |
| Consent audit trail (proof of your choices) | Legal obligation; legitimate interests (compliance defence) |
| Content moderation (automated and human) | Legitimate interests; legal obligation where mandated |
| Fraud prevention, fingerprinting, IP bans, security | Legitimate interests |
| Marketing emails, push notifications | Consent (opt-in; withdrawable at any time) |
| Marketing text messages (where you provide a mobile number) | Prior express written consent (separate opt-in, never a condition of purchase; reply STOP to opt out at any time) |
| Product analytics and service improvement | Legitimate interests; consent where required by local law |
| Age-verification capture analysis (including AI age estimation) | Explicit consent; sensitive-data rules where applicable |
Where we rely on legitimate interests, we balance them against your rights. You may object where your jurisdiction provides that right (Section 8).
3.1 Sensitive data
Because this is an adult-oriented online dating platform, some data you provide may reveal information about your sex life or sexual orientation (e.g. who you are interested in, age-restricted content preferences, the content of intimate messages). Where your User Market treats this as sensitive data requiring a specific safeguard (e.g. UK GDPR, CPRA "sensitive personal information"):
- we process it on the basis of your explicit consent or another safeguard recognised by that law, and your provision of the information through the relevant profile fields and features constitutes that consent where permitted;
- you may withdraw consent at any time by removing the information or deleting your account; withdrawal does not affect processing already carried out;
- we never use this data for third-party advertising and never sell it.
3.2 Biometric and facial data (age verification)
Where AI age estimation analyses a facial image, this may constitute processing of biometric or facial-geometry data under laws of certain User Markets (e.g. Illinois BIPA, Texas CUBI, Washington My Health My Data, UK GDPR):
- we collect it only with your prior express written/explicit consent, presented immediately before capture or before analysis of an existing photo;
- we maintain a written retention-and-destruction schedule: the image and any derived biometric identifiers are destroyed as soon as the verification decision is made, and at the latest after 30 days (see Adult Content & Age Policy, Section 5);
- we do not sell, lease, trade or otherwise profit from biometric data, and we do not disclose it except to the verification processor acting under contract.
4. Automated Decision-Making
Where AI-based age estimation is used, the decision to unlock age-restricted content may be taken by automated means. You have the right to obtain human review of an automated rejection, to express your point of view and to contest the decision — contact [email protected]. A rejected verification never leads to automatic account termination without human review.
5. Recipients
We share personal data only with:
- Processors acting on our instructions (hosting, content delivery, storage, email/push delivery, payment processing, automated moderation, analytics, and AI text-generation providers used to power conversations with Entertainment Profiles — such providers process the content of messages you exchange with those profiles, under data-processing agreements and without authorisation to use your messages to train their own models unless you separately consent), bound by data-processing agreements;
- Moderation staff and contractors operating the Service (including operators of Entertainment Profiles, who see the messages you exchange with those profiles);
- Payment providers for the execution of purchases;
- Authorities where required by law or to protect vital interests (e.g. suspicion of child sexual abuse material is reported to competent authorities);
- Corporate transactions: successors in the event of merger or acquisition, under equivalent safeguards.
We do not sell your personal data.
6. International Transfers
We and our processors may store and process personal information in countries where we and our authorised service providers operate. Laws in those locations may differ from yours.
When we transfer personal information across borders, we implement appropriate safeguards, which may include:
- Standard Contractual Clauses and comparable transfer mechanisms where recognised;
- Adequacy decisions or substantially similar mechanisms where recognised;
- Contractual protections and security measures required by applicable law in your User Market;
- Your explicit consent where required for specific transfers (e.g. certain age-verification processing).
Details of safeguards for your region are available on request at [email protected].
7. Retention
- Deactivated accounts: the public profile is hidden immediately. Deactivation is reversible and does not start the deletion period. Optional marketing, activity-notification and push consents are withdrawn when you deactivate and are not restored automatically.
- Deletion requests: the profile is hidden and access is revoked immediately; account and profile data are deleted or anonymised within 30 days. Deleted accounts cannot be reactivated.
- Account and profile data: for the life of the account; deleted or anonymised within 30 days of account deletion, except as below.
- Consent and age-attestation records: retained for as long as needed to demonstrate compliance, and no longer than the applicable statutory limitation periods after account deletion.
- Age-verification captures: deleted immediately upon decision, at the latest after 30 days; only the limited audit evidence described above is retained.
- Payment and accounting records: statutory retention periods (typically 6–10 years).
- Security logs (IP, fingerprint): up to 12 months, longer only in connection with an ongoing investigation or ban enforcement.
- Messages: for the life of the account. Content authored by the deleted account is redacted within the account-deletion period; limited copies may be retained only where necessary for legal claims, abuse reports, security investigations or mandatory law.
Limited records may remain after anonymisation only where necessary for tax/accounting, legal claims, statutory compliance, fraud prevention, security or enforcement of a valid ban. Access is restricted and retention follows the applicable limitation or statutory period.
8. Your Rights (by User Market)
Rights depend on where you use the Service (User Market), not on where the Contracting Entity is incorporated. We honour all rights granted by applicable law. Contact [email protected] or account settings (marketing/push changes are recorded in your consent history). You may request a full export of your consent history.
8.1 All users (baseline)
- Access, correction, deletion (subject to legal retention), withdrawal of consent, and opt-out of marketing (unsubscribe links in emails; reply STOP to text messages; push and other channels via account settings — each change is recorded in your consent history).
- Portability/export before deletion: request an export through support before confirming permanent deletion. We may verify your identity before releasing it.
8.2 United States (User Market)
State privacy laws (CCPA/CPRA and comprehensive state statutes): rights to know, delete, correct, opt out of sale/sharing (we do not sell or share as defined by applicable law), limit use of sensitive personal information, and non-discrimination. We honour Global Privacy Control signals where legally required. The categories of personal information we collect are those in Section 2; we disclose them only to the recipients in Section 5. Residents of states with biometric laws (e.g. Illinois) have the additional protections in Section 3.2. State AGs and privacy regulators handle complaints.
8.3 United Kingdom (User Market)
UK GDPR / Data Protection Act 2018: access, rectification, erasure, restriction, portability, objection, and complaint to the ICO (https://ico.org.uk). Automated decision-making rights apply to age-verification rejections (Section 4).
8.4 Canada (User Market)
PIPEDA (federal) and provincial laws (e.g. Quebec Law 25, BC PIPA, Alberta PIPA): access, correction, and complaint to the Office of the Privacy Commissioner of Canada (https://www.priv.gc.ca).
8.5 Australia (User Market)
Privacy Act 1988 / Australian Privacy Principles: access, correction, and complaint to the OAIC (https://www.oaic.gov.au) if unresolved with us.
8.6 New Zealand (User Market)
Privacy Act 2020: access, correction, and complaint to the Office of the Privacy Commissioner (https://www.privacy.org.nz).
8.7 Other territories
Where the Service is available outside the Primary Markets, local privacy law may grant additional rights (e.g. GDPR rights for users in the EEA); contact us to exercise them.
8.8 Response times
We respond within timeframes required by your User Market's law (typically 30–45 days, extendable where permitted). Identity verification may be required.
9. Security
We apply appropriate technical and organisational measures: encryption in transit, hashed passwords, private storage for age-verification captures segregated from all public media pipelines, access controls and least-privilege access, audit logging, and periodic review. No system is perfectly secure; notify us of any suspected breach at [email protected].
10. Cookies
See our Cookie Policy for details of cookies and similar technologies and your choices.
11. Changes
We will notify you of material changes to this Policy (in-product or by email) and, where required, seek your renewed acknowledgement. Each version is identified by a version number and effective date; the version you acknowledged is recorded in your consent history.
12. Contact
Selodap Limited Rm 511, 5/F, Ming Sang Industrial Building, 19-21 Hing Yip Street, Kwun Tong, Hong Kong Email: [email protected]