{
  "canonical_url": "https://legal.peopletechrevolution.com/privacy",
  "content": "# People Tech Revolution Privacy Policy\n\nPeople Tech Revolution Pty Ltd (ABN 66 646 534 858) creates websites, software, mobile applications, artificial-intelligence experiences and immersive XR, VR and AR products. This policy explains how People Tech Revolution collects, uses, discloses, stores and protects personal information across those activities.\n\nProduct-specific notices or supplements may apply where a product handles information differently. If a product supplement conflicts with this policy, the supplement controls for that product.\n\n## Information we collect\n\nDepending on the service, we may collect contact and account information; organisation and purchase information; enquiries and support communications; content submitted to a product; session, device and technical information; and permissions or sensor data required by a feature.\n\nWe collect information directly from you, from an organisation providing a service to you, from services you authorise, and automatically where needed to operate and secure our products.\n\nWe do not assume that every PTR product collects the same information. Product pages identify material differences such as camera, microphone, storage, artificial-intelligence processing, recordings or app-store services.\n\n## How we use information\n\nWe use information to provide and improve requested services, operate accounts and purchases, respond to enquiries, manage leads and customer relationships through our CRM, secure our systems, maintain business records, meet contractual and legal obligations, and communicate important service information.\n\nWe do not sell personal information.\n\n## Products and customer organisations\n\nWhere an employer, school, healthcare provider, government agency or other customer provides a PTR experience, that organisation may control information collected outside the product itself. Questions about its records should be directed to that organisation.\n\nPTR may process information on a customer’s behalf under a separate agreement. The customer remains responsible for its collection notices, permissions and lawful use.\n\n## Devices, applications and permissions\n\nMobile and immersive applications may use device capabilities such as cameras, microphones, motion tracking, hand controllers or local storage. The applicable store listing and product supplement describe the capabilities used by that application.\n\nA permission declared by an operating system or development framework does not necessarily mean PTR receives the associated information. We describe actual verified product behavior rather than treating a technical permission as collection.\n\n## Artificial intelligence\n\nSome PTR products use artificial-intelligence providers to generate or analyse content. The applicable product policy explains the relevant inputs, outputs, retention and human-oversight expectations.\n\nPTR does not use private customer content to train general-purpose models for unrelated customers unless that use is separately and clearly authorised.\n\n## Service providers and international processing\n\nWe use providers for hosting, authentication, communications, payments, analytics, support and product-specific processing. Providers vary as our architecture and customer configurations evolve.\n\nMaterial providers, functions and processing locations are maintained in our [Subprocessors and Data Locations](/subprocessors) register. Product-specific disclosures apply where processing differs materially.\n\n## Disclosure\n\nWe disclose information when needed to provide a requested service, operate and secure our business, comply with law, protect rights or safety, or complete a corporate transaction subject to appropriate protections. We do not sell or rent information to data brokers or advertisers.\n\n## Retention and deletion\n\nWe retain information only as long as reasonably required for the applicable service, security, business records, disputes or law. Product supplements describe product-specific retention and deletion behavior.\n\n## Security\n\nWe use administrative, technical and organisational measures designed to protect information. No connected system can guarantee absolute security.\n\n## Your rights\n\nDepending on applicable law, you may request access, correction, deletion, restriction, objection or an applicable export. We may verify identity and may refer a request to the customer organisation that controls the relevant records.\n\n## Children\n\nPTR products are not directed to children unless a product is specifically designed, reviewed and published for that audience. Product-specific age ratings and notices control.\n\n## Cookies and analytics\n\nOur websites may use essential storage and, where implemented and permitted, analytics or preference technologies. A current cookie notice must describe the technologies actually deployed; this policy does not claim use of advertising cookies unless verified.\n\n## Changes\n\nThe version and effective date identify this policy. Material changes receive appropriate notice. Product and subprocessor operational information may be updated without renewed acceptance where it does not materially change existing rights or commitments.\n\n## Contact\n\nPeople Tech Revolution Pty Ltd\nABN 66 646 534 858\nAddress: 27/65 Manooka Drive, Cannonvale, Queensland 4802, Australia\nPrivacy email: [privacy@peopletechrevolution.com](mailto:privacy@peopletechrevolution.com)\n\nUnresolved complaints may be submitted to the [Office of the Australian Information Commissioner](https://www.oaic.gov.au/privacy/privacy-complaints).\n",
  "content_format": "markdown",
  "document_id": "PTR-PRIVACY",
  "effective_date": "2026-08-24",
  "sha256": "4a4c5ccd4906144642ad6467ff0608b5b2940ed525030dc6d43fe95d4d4e357c",
  "status": "published",
  "supersedes": null,
  "title": "People Tech Revolution Privacy Policy",
  "version": "0.1.00"
}
