Privacy Policy
Last updated: 2026-02-14
Contact: hello@attach-corezone.one
Back to top1. Third Parties
We share limited data with subprocessors that host our site, deliver email, or provide analytics when you opt in. Contracts require confidentiality, security measures, and deletion timelines. Providers you purchase from receive information necessary to fulfill training, subject to their policies. We do not sell personal information. International transfers use appropriate safeguards such as standard contractual clauses when relevant. You may request a current subprocessor list.
2. Use of Data
We use data to operate the marketplace, respond to inquiries, secure sessions, and improve content. With consent, we measure site performance using aggregated analytics. Marketing communications are sent only with explicit opt-in and include unsubscribe controls. Automated decision-making with legal effects does not occur. Human reviewers handle escalations. Purposes are documented in internal records of processing activities available to enterprise clients upon request.
3. Retention
Contact form submissions are retained up to twenty-four months unless a longer period is required for disputes. Cookie logs follow durations listed in the Cookie Policy. Training-related introductions may be retained for seven years where contract law suggests preservation. You may request deletion subject to exceptions such as unresolved claims. Backups purge on rolling cycles; residual fragments may persist briefly in disaster recovery systems before overwrite.
4. Data Collected
We collect identifiers such as name, email, company, and message content you submit voluntarily. Technical logs may include IP address, user agent, and timestamps. Event registrations may capture dietary or accessibility needs when you supply them. We avoid collecting sensitive categories unless strictly necessary and with explicit consent. Children’s data is not targeted; if discovered, it is deleted promptly. Volume and exact fields depend on the form you complete.
5. Rights
Depending on applicable law, you may access, correct, delete, restrict, or port your data, and object to certain processing. Korean residents may exercise rights under the Personal Information Protection Act through hello@attach-corezone.one. We respond within thirty days unless complexity requires an extension with notice. You may lodge complaints with the Personal Information Protection Commission. Appeals receive an internal review by a designated privacy coordinator.
6. Contact
Privacy inquiries should be emailed to hello@attach-corezone.one with subject lines that reference Privacy. Postal correspondence may be sent to the Gangnam-gu address listed on the Contact page. Please include enough detail to verify identity without oversharing government identifiers. We may request follow-up to prevent fraudulent deletion requests. Enterprise customers may use designated account channels when available.
7. Scope
This policy covers attach-corezone.one and related communications from MetricHarbor. Linked provider sites operate independently; review their policies before submitting data. Employees and contractors are bound by confidentiality agreements. Changes are dated at the top of this page. Historical copies can be supplied for external compliance review. If translations diverge, the English business copy prevails for international clients unless local law mandates otherwise.
8. Security Measures
We implement access controls, encrypted transport, and vendor reviews. No method is perfectly secure; report suspected incidents immediately. We maintain incident response playbooks aligned to Korean notification guidance where applicable. Penetration tests occur on a scheduled basis. You are responsible for protecting devices used to access our services. Large file transfers should use approved channels we provide upon request.
9. Automated Processing
We do not use fully automated decisions that produce legal effects concerning individuals. Analytics may highlight aggregate trends but do not determine eligibility for employment or credit. If future features introduce meaningful automation, we will publish an impact assessment and consent flows as required. Human moderators review flagged marketplace content. Model-assisted drafting, if used internally, is supervised and not attributed to you without permission.
10. International Transfers
Data may be processed in the Republic of Korea and in regions where subprocessors maintain facilities. Transfers rely on adequacy decisions, standard contractual clauses, or other lawful mechanisms. Copies of safeguards are available upon request. We assess jurisdiction risks periodically. Government access requests are evaluated for validity and narrowed where possible. You may object to transfers that materially increase risk, subject to service constraints.
11. Minors
Services are directed to business audiences, not children. If you believe a minor submitted data, notify us to delete it. Educational partners must obtain appropriate institutional consent for student programs. We do not knowingly profile minors for marketing. Age gates may be introduced for specific events. Parental contacts should use corporate channels rather than personal student emails when feasible.