Privacy Policy & Minors' Data Addendum
This document is an outline pending counsel review. The commitments below are already enforced by the product; the legal drafting is not yet complete.
What we collect, by role. Households: name, email, street address (for neighborhood verification), payment details held by Stripe. Families: parent name, email, connected payout account held by Stripe. Teens: first name, last initial, age bracket, availability, and the work record — no account, no login, no email address, no phone number.
Sponsors see aggregates only. A sponsor never receives personal data about any household, family, or teen. This is a product guarantee, not a policy preference: the data is not exposed to them by any endpoint.
Dispatcher transcripts are retained, and a parent may read anything involving their kid. Adults and teens never message each other directly; coordination flows through the dispatcher so that a record exists and a parent can review it.
Photos. Public profiles use illustrated avatars only. Real photographs are shown only to verified households in the same neighborhood, and only where a parent has enabled it. Print use requires separate per-piece consent. Photo permissions may be revoked at any time, and revocation destroys the stored image.
No sale or sharing of personal data.
Deletion. You may request deletion of your account and associated personal data, including photographs.
Minimum age. Teens must be at least 13. No one under 13 participates in any capacity.
Pending counsel: Texas SCOPE Act (HB 18) duties for minors' use, confirmation of COPPA inapplicability above 13, and TDPSA obligations at our size.
