Privacy Policy - Leafiqo
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Privacy Policy - Leafiqo
Last updated
2026-03-17Contact details
- Email: info@davenextworks.com
What information we collect, use, and why
We collect or use the following information to comply with legal requirements (e.g., GDPR/ePrivacy):- Records of consent, where appropriate
- Crash logs
- Diagnostics data
- Device identifiers (e.g., Firebase installation ID)
- IP addresses
- App user journey information (e.g., screen views, search queries, in-app actions and events)
Our lawful bases for the collection and use of your data
Legal requirements
Our lawful basis is Legal obligation — we process only what is necessary to comply with the law (e.g., keeping proof of consent via the UMP SDK).For analytics and application performance
Our lawful basis is Legitimate Interests (and Consent where required by local law) — we process this
technical and usage data (crash logs, diagnostics, app interactions) to identify and fix bugs,
understand how users interact with the app, and ensure the app is stable. This processing is necessary for us to maintain
and improve the service. You have the right to object to this processing or withdraw consent where applicable.
Your rights
- Right of access: You can ask if we process your personal information and request a copy.
- Right to rectification: You can ask us to correct inaccurate or incomplete information.
- Right to erasure: You can ask us to delete your information where the law allows.
- Right to restrict processing: You can ask us to limit how we use your information in certain cases.
- Right to object: You can object to processing in certain cases (mainly where we rely on legitimate interests).
- Right to data portability: You can ask us to transfer information you provided to another organisation or to you (where technically feasible). Note: since we do not run user accounts or collect names/emails, this may be limited in practice.
- Right to withdraw consent: When we rely on consent, you can withdraw it at any time.
Where we get personal information from
- Directly from you for example, your consent choices in the in-app consent prompt, or information you send us if you contact support.
- Automatically from your device when you use the appFor example, IP address, device identifiers, and basic app interaction data needed to measure app usage and performance.
- From third parties (independent controllers):
1 Google Analytics for Firebase
- Organisation: Google Ireland Limited (and Google LLC as group entity)
- Country: Ireland / United States
- What they do: Provide application analytics, user engagement measurement, and performance monitoring.
- Why we share/use data: To understand user behavior, measure app performance, and improve our services.
- Categories of data: Device identifiers (e.g., Firebase installation IDs), IP address, app interactions and events (e.g., features used, search queries).
- Lawful basis: Legitimate Interests (and Consent where applicable).
- International transfers: May include transfers to the US and other countries; transfers may occur under the European Commission’s Standard Contractual Clauses (SCCs).
- Retention: Determined by Google’s policies (typically 2 to 14 months for analytics data); we do not set Google’s global retention.
- Privacy information: Google Privacy Policy; Google Analytics for Firebase terms.
2 Google User Messaging Platform (UMP) / Consent SDK
- Organisation: Google Ireland Limited (and Google LLC as group entity)
- Country: Ireland / United States
- What they do: Provide consent prompts and store/communicate consent signals for analytics and tracking.
- Why we share/use data: To collect and record users’ consent choices.
- Categories of data: Consent status/choices and limited device/app information needed to display/manage the consent form.
- Lawful basis: Legal obligation (record-keeping for compliance) + Consent (for tracking).
- International transfers: May include transfers to the US and other countries; safeguarded via SCCs.
- Retention: We keep consent records only as needed for compliance; Google may retain technical logs per its policies.
- Privacy information: Google Privacy Policy.
3 Expo
- Organisation: Expo
- Country: United States
- Why we share/use data: To ensure the app is stable, identify performance issues, and fix crashes.
- Categories of data: Crash logs, diagnostics data, Device identifiers (e.g., installation ID, IP address).
- Lawful basis: Legitimate Interests (for app stability).
- International transfers: May include transfers to the US, safeguarded via SCCs.
- Retention: Determined by Expo’s policies.
- Privacy information: Expo’s Privacy Policy
How long we keep information
We do not retain personal information on our own servers. The app does not create user accounts or collect names, emails or payment details. Analytics-related data (e.g., device identifiers, IP address, basic app interactions) is processed and stored by Google and Expo; retention and deletion for that data are governed by their policies, which we do not control. Consent choices shown in the consent prompt are stored on the user’s device and by Google to honour those preferences; we do not keep separate copies. If you contact us directly (e.g., by email), we keep your message only as long as necessary to respond and then delete it. You may request deletion at any time (see Your Rights).Who we share information with
Others we share personal information with- Suppliers and service providers
International transfers
Our app is operated from the EU (Hungary) but may involve limited processing of personal information in other countries. When we transfer personal information outside the European Economic Area (EEA), we comply with the GDPR and ensure appropriate safeguards are in place. If you are in the UK, equivalent safeguards under UK GDPR apply. For more details or to request a copy of the relevant safeguards, please contact us using the details provided in this notice.Recipients and safeguards
Google Ireland Limited
- Category of recipient: Analytics / consent management technology provider
- Location: Ireland (within the EEA)
- Safeguard / legal basis: EEA internal transfer (no third-country transfer required). For UK users, transfers to Ireland rely on the UK’s adequacy regulations (“UK data bridge”).
Google LLC
- Category of recipient: Analytics / consent management technology provider
- Location: United States (third country)
- Safeguard / legal basis (EEA users): European Commission’s Standard Contractual Clauses (SCCs), plus technical and organisational measures.
- Safeguard / legal basis (UK users): EU SCCs with the UK Addendum (IDTA addendum) or the UK IDTA, as applicable.