What We Process
We process contact data, operational records, app telemetry, support content, and policy-relevant identifiers only where there is a valid business or legal basis to do so.
Effective Date: May 15, 2026
Company: Kaifeng Fengjiang Agriculture And Forestry Technology Co
Website: https://kffengjiang.com
Office Address: No. 203, Wangzhouzhuang 5th Street, Liuyuankou Township, Longting District, Kaifeng, 475000, CN
Business Support: support@kffengjiang.com
Key Accounts: houjinlong1@kffengjiang.com
This Privacy Policy explains how Kaifeng Fengjiang Agriculture And Forestry Technology Co ("we", "our", "us") collects, uses, stores, shares, and protects personal information when you use our website and our mobile applications distributed via Google Play, Apple App Store, and other approved app distribution channels.
This policy applies to products and services covering agriculture and forestry technology research and development, technology extension, technology consulting, cultivation and sales of crops/nursery trees/flowers/fruit trees, agricultural and sideline product trade, landscaping project construction, land consolidation services, agricultural machinery sales, fertilizer and farm manure sales, ecological agriculture development, and forestry pest prevention and control services.
This policy applies to:
This policy does not apply to third-party websites or services that have their own privacy policies.
We process contact data, operational records, app telemetry, support content, and policy-relevant identifiers only where there is a valid business or legal basis to do so.
Processing supports service delivery, mobile app operation, security, customer support, analytics, lawful monetization, and regulatory compliance.
Depending on location, users can request access, correction, deletion, consent withdrawal, portability, and advertising-related choice controls through our support channels.
Where required by law, we rely on one or more legal bases: contract performance, legitimate interests, legal obligation, and consent (including explicit consent where required for targeted advertising and certain identifiers).
Our website and apps may use cookies, local storage, pixels, software development kits (SDKs), and similar technologies for authentication, security, analytics, attribution, ad serving, and consent preferences.
You can manage cookie preferences through browser controls and manage mobile app tracking through app-level settings and operating-system permissions. Some functions may be limited if tracking-related settings are disabled.
Some mobile app modules use advertising monetization. We implement policy controls for open app ads (splash ads), rewarded video ads, interstitial ads, banner ads, and native ads. We do not knowingly serve personalized ads to children where prohibited.
Depending on the app, region, and release version, we may integrate one or more of the following:
We support app-ads.txt governance for authorized digital sellers and platform integrity. Our app-ads.txt file is published at the root domain path and maintained in line with active monetization relationships.
| Platform | Required Controls | Our Implementation |
|---|---|---|
| Google Play | Data safety form, prominent disclosure, runtime permissions, children and families rules, SDK policy compliance. | Data inventory mapping, in-app notices, permission minimization, age-sensitive ad controls, SDK review workflow. |
| Apple App Store | App Privacy nutrition labels, ATT framework where applicable, age rating, account deletion where required. | Privacy declarations by data type, ATT prompt management, age content alignment, in-app account support controls. |
| Regional App Channels | Local consumer and privacy requirements, policy disclosures, lawful data transfer basis. | Regional legal review, localized disclosures, transfer safeguards, and policy updates by release cycle. |
We tailor privacy operations according to jurisdiction. Requirements may overlap. Where multiple rules apply, we apply the stricter standard.
| Jurisdiction | Primary Legal Framework | Key Rights And Controls |
|---|---|---|
| European Union / EEA | GDPR, ePrivacy rules, Digital Services and platform guidance where applicable. | Access, rectification, erasure, restriction, portability, objection, consent withdrawal, complaint rights. |
| United Kingdom | UK GDPR, Data Protection Act 2018, PECR. | Equivalent GDPR rights, direct marketing controls, cookie preference controls. |
| Switzerland | Swiss FADP. | Transparency, purpose limitation, correction and deletion rights. |
| United States | State privacy laws including CCPA/CPRA, VCDPA, CPA, CTDPA, UCPA and others as applicable. | Know, delete, correct, opt-out of sale/share or targeted advertising, non-discrimination rights. |
| Canada | PIPEDA and provincial privacy requirements where applicable. | Access and correction rights, meaningful consent, complaint mechanisms. |
| Brazil | LGPD. | Confirmation, access, correction, anonymization, portability, deletion, information on sharing. |
| Australia | Privacy Act and Australian Privacy Principles. | Access and correction, complaint rights, reasonable cross-border safeguards. |
| New Zealand | Privacy Act 2020. | Access, correction, breach notification rights under applicable thresholds. |
| Singapore | PDPA. | Consent framework, notification obligations, correction and access rights. |
| Japan | APPI. | Disclosure, correction, suspension of use, and transfer-related transparency. |
| South Korea | PIPA and related electronic communication rules. | Detailed consent controls, deletion, suspension, and strict security obligations. |
| India | Digital Personal Data Protection Act and sector requirements where applicable. | Notice, consent, correction, erasure, grievance redressal rights. |
| UAE / Saudi Arabia / Middle East markets | Applicable national data protection laws and implementing regulations. | Transparency, lawful processing basis, security, transfer and complaint channels. |
| South Africa | POPIA. | Access, correction, objection, direct marketing controls, regulator complaint rights. |
| Mexico and LatAm markets | Applicable federal and local personal data laws. | ARCO-like rights (access, rectification, cancellation, opposition) where applicable. |
We may share personal information with:
We do not sell personal information in the ordinary meaning of direct paid data transfer.
If data is transferred across borders, we apply recognized safeguards as required by law, which may include contractual clauses, risk assessments, and supplemental security measures.
We retain personal information only as long as necessary for the purposes described in this policy, including contract execution, legal obligations, dispute resolution, and security operations. Retention periods vary by data category and jurisdiction.
No method of transmission or storage is absolutely secure, but we implement commercially reasonable safeguards.
Our services are generally intended for business and professional users. We do not knowingly collect personal information from children below the minimum age defined by applicable law without required parental/guardian authorization.
Subject to jurisdiction, you may have rights to:
To exercise rights, contact support@kffengjiang.com.
We evaluate browser and platform privacy signals in line with applicable law and technical feasibility. Where legally required, we honor recognized opt-out preference signals for covered jurisdictions.
We may update this policy to reflect legal, technical, or business changes. Material updates will be communicated through app notices, website posting, or other appropriate means.
For privacy questions, rights requests, or complaints, contact us at support@kffengjiang.com. For enterprise partnership matters, contact houjinlong1@kffengjiang.com.
Postal contact: No. 203, Wangzhouzhuang 5th Street, Liuyuankou Township, Longting District, Kaifeng, 475000, CN.