Legal information · P14
Privacy Choices and Requests
Effective from: 24 Sept 2026, 11:48
Effective date / Datum primene: 2026-09-24
1. Different choices in one place
This page explains how to manage optional tracking, marketing and personal-data requests. These are different actions: deleting an account, cancelling a paid subscription and unsubscribing from a newsletter have different effects.
2. Tracking and advertising
Cookie settings: To be completed after company registration.. Where a right to opt out of sale, sharing or targeted advertising applies, the appropriate control is at To be completed after company registration.. Our actual practice and relevant rights are described here: To be completed after company registration..
We do not interpret “sale” only as directly selling a list for money where applicable law defines it more broadly. Legally relevant signals such as GPC are honoured where required. Choices not requiring identification do not require a new account or unnecessary identity details.
3. Marketing messages
Every marketing message includes unsubscribe. You may also contact To be completed after company registration.. Unsubscribe covers the selected marketing, including automated promotional messages. It does not automatically end purchased course access or a contracted subscription.
4. Personal-data requests
For information, access, copies, correction, erasure, restriction, objection, portability or other available requests, use To be completed after company registration. or To be completed after company registration.. You do not need to identify a statutory article or use the exact legal term.
Include a reply contact, the request type and information that helps locate the account or processing. Do not routinely attach identification documents. If identity or representative authority needs verification, we explain a reasonable method and limit data to what is necessary.
5. Handling and timing
We record receipt and explain the next step. We apply the relevant statutory deadline and use extensions or fees only where legally permitted and properly explained. Exercising a right alone does not justify a fee. Local periods and rights appear in the Privacy Policy and Regional Addendum.
For erasure, we separate information that must remain for legal duties or justified legal claims, explaining the basis where required. Removing access must not conceal ongoing billing. If the request also affects a contract, we distinguish the decisions and consequences clearly.
6. Protection against adverse treatment
You are not penalised for lawfully exercising rights. A feature objectively unable to operate without necessary information may be limited with an explanation, but that does not justify withholding unrelated services. If you consider a request mishandled, you may use available complaint or appeal mechanisms under applicable law.