Children and Young Users Privacy Notice
Published 16 September 2026 · effective 16 September 2026.
Last updated: 16 September 2026 This notice explains FaceCards’ adult-only age rule and how we handle under-18 access or personal data that reaches us despite that restriction. It should be read with the full Privacy Policy. FaceCards is intended only for users aged 18 or over. 1. Who runs FaceCards FaceCards is run by ONECORTEX LTD, company number 17374603, registered at 128 City Road, London, EC1V 2NX, United Kingdom. You can contact us at facecardssupport@gmail.com. 2. Minimum age You must be at least 18 years old to create a FaceCards account, start a trial, purchase FaceCards, download or use the controller software, or enable FaceCards controller permissions. By registering or using FaceCards, you confirm that you are 18 or over. 3. No accounts for under-18s Do not create an account for a person under 18, allow a person under 18 to use your account, or help someone evade the age restriction. A false age declaration may lead to restriction, suspension or termination of the account. 4. Why FaceCards uses an adult-only model FaceCards combines camera-based gesture tracking, automated input, device permissions and paid digital software. The service has been designed and contracted as an adult-only product rather than a service for children. This age rule does not remove any data-protection duty that applies if children nevertheless access the website or their personal data reaches us. 5. If we discover under-18 use If we reasonably believe an account belongs to or is being used by a person under 18, we may restrict access while we assess the situation. We may close the account and delete associated personal data where appropriate, while retaining limited information where lawfully necessary for security, fraud prevention, accounting, payment disputes, legal claims or compliance. 6. Personal data received before we identify the age issue The ordinary Privacy Policy applies to personal data processed before we discover that a user is under 18. We will not knowingly continue providing the adult-only controller service to that person after the age issue is established. 7. Camera and calibration data Raw camera video is intended to be processed locally on the device rather than uploaded to FaceCards servers. Derived calibration measurements can be linked to an account as described in the Privacy Policy and Camera, Gesture Tracking and Calibration Notice. FaceCards does not use those measurements to identify a person or authenticate an account by face recognition. 8. Purchases and payment People under 18 must not purchase FaceCards or use another person’s payment method to obtain access. If an under-18 purchase is identified, the legal and payment-provider position will be handled according to the circumstances and any mandatory rights; the age rule does not allow us to avoid a remedy that law requires. 9. Marketing and access controls FaceCards is not intended to be marketed or offered as a service for children. We may use age declarations, account restrictions and other proportionate measures to discourage or prevent under-18 access. Whether additional age-assurance measures are appropriate may be reviewed as the product, audience and regulatory guidance develop. 10. Device permissions FaceCards may request camera access and, on some platforms, powerful automation or accessibility permissions. These permissions are intended only for adult users who choose to enable the relevant controller function and can be revoked through the device, browser or operating-system settings. 11. Data-protection rights Data-protection rights can still apply to personal data relating to a person under 18 even though the person was not eligible to use FaceCards. A parent or guardian may contact us where appropriate, but we may need to verify authority and identity before disclosing or deleting account information. 12. Contact Questions about age eligibility or under-18 personal data can be sent to facecardssupport@gmail.com. You may also complain to the UK Information Commissioner’s Office about data-protection concerns.
