1. Overview
Beijing Junjian Technology Co., Ltd. provides mobile application and mobile game development, operations, publishing support, monetization design, and related technical services. We process personal information only where there is a legitimate business need, a product requirement, a contractual necessity, user consent, or another lawful basis recognized under applicable law.
2. Data We Collect
Depending on the product or service, we may collect contact information, account identifiers, device and network information, app diagnostics, payment-related metadata, customer support records, ad performance signals, fraud prevention indicators, and consent or age-gate responses. Sensitive data is handled only where strictly necessary and allowed by law.
3. How We Use Data
Collected information may be used to deliver services, operate accounts, improve stability, process transactions, manage subscriptions, personalize support, measure product performance, enforce platform rules, prevent abuse, meet legal duties, and communicate important service updates. We do not sell personal data in a manner prohibited by applicable law.
4. Developer Policy Alignment
For products we develop or operate, privacy implementation is designed to align with mainstream developer platform rules. This includes transparent disclosures, consent collection where required, proper permission handling, data minimization, purpose limitation, secure SDK selection, clear user notices, and evidence-based policy documentation for release review. We recommend that every live product maintain a privacy inventory, SDK register, data flow review, and release checklist.
5. Google Play and App Store Adaptation
Products published on Google Play or the Apple App Store should provide store-facing privacy disclosures, age-appropriate content declarations, lawful subscription and billing descriptions, accurate account deletion pathways where required, and functionality consistent with submitted metadata. For Google Play, this may include Data safety, prominent disclosure, permissions discipline, child-directed safeguards, and ad identifier controls. For the App Store, this may include App Privacy disclosures, ATT-related handling where applicable, subscription transparency, reviewer notes, and content suitability declarations.
6. Monetization Platform Adaptation
Where products use advertising networks, mediation layers, analytics tools, subscription vendors, or payment service providers, we aim to configure those integrations in line with contractual obligations and local law. This includes consent propagation, opt-out support, regional ad restrictions, fraud detection, age-sensitive ad handling, and documentation for partner due diligence. Different monetization partners may impose additional restrictions around rewarded ads, personalized ads, in-app purchases, refund handling, and disclosure wording.
7. Global Privacy Compliance Adaptation
Privacy operations may be adapted to support major legal regimes, including but not limited to the GDPR and UK GDPR, the CCPA or CPRA, COPPA where relevant, PIPEDA, LGPD, and other regional privacy or consumer protection requirements. Adaptation may include lawful basis analysis, data processing notices, consent or objection workflows, contractual transfer measures, local representative arrangements where needed, and response procedures for data subject requests.
8. Global Age Management Adaptation
Products aimed at or accessible to younger audiences should implement age-screening or age-assurance flows appropriate to the market, disable ineligible advertising or profiling behaviors where required, limit data collection to what is necessary, and ensure that payments, social features, or user-generated content are handled with heightened caution. We recommend separate rule sets for general audience, teen audience, and child-directed experiences, depending on platform policy and local law.
9. Security, Storage, and Retention
We use reasonable technical and organizational controls to protect information from unauthorized access, disclosure, alteration, or destruction. Retention periods depend on service purpose, operational need, contractual scope, dispute risk, tax and accounting obligations, and legal requirements. Data no longer required should be deleted, anonymized, or aggregated where appropriate.
10. User Rights and Choices
Where applicable, users may have rights to access, correct, delete, export, restrict, object to, or withdraw consent regarding their personal information. Some rights depend on product architecture, legal context, and identity verification requirements. Users may also manage marketing preferences, cookie choices, or in-app consent settings where such controls are available.
11. Contact
For privacy inquiries, product compliance coordination, or data request handling, contact us at support@bjjunjian.com or write to No.206-006, No.7, Juyuan W. Road, Mapo Town, Shunyi District, Beijing, 100000, China.