This privacy policy explains how Fraydar handles information. Fraydar is operated by Steffen Valle Øvrebø, Norwegian sole proprietor (enkeltpersonforetak), based in Sunnfjord, Norway. Incorporation as Fraydar AS is planned for Q3 2026 as the business scales.
Signals and public data. Fraydar detects and verifies publicly available signals from community platforms, including posts on X/Twitter, Telegram channels, and other public sources. Some of this content includes personal data of third parties (journalists, public officials, activists, commentators). We process this data for legitimate interests under Article 6(1)(f) GDPR, specifically for corporate risk intelligence and journalistic-standard analysis.
Client data. When a client engages Fraydar, we process business contact details (name, email, role, company) and information about the client's regions of interest. We do not resell this data. Full terms are set out in our data processing agreement, signed as an annex to any client services contract.
Request access form. If you submit the request-access form on fraydar.com, we collect your name, company, role, and email. We use this only to respond to your inquiry. We do not add submissions to any marketing list without your separate consent.
We do not sell data to advertisers. We do not train general-purpose AI models on your data. We do not redistribute client-confidential briefings. We do not embed or republish content from outlets designated under EU Regulation 833/2014.
Under the GDPR, you have rights of access, correction, deletion, restriction, portability, and objection. To exercise any of these rights, contact privacy@fraydar.com. We respond within 30 days.
Request-access form submissions are kept for 24 months unless you ask us to delete them earlier. Client data is retained per the terms of the relevant services agreement and any applicable legal hold.
Data is encrypted at rest and in transit. Primary storage is EU-hosted. We limit access to Fraydar personnel and vetted verifiers under written confidentiality obligations.
Where data is transferred outside the EEA, we rely on standard contractual clauses and appropriate supplementary measures.
We will update this policy as Fraydar grows. Material changes will be notified to active clients by email.