Allaam AI Assistant

Allaam AI Assistant

Privacy Policy

Version
1.0
Published
2026-08-24
Effective
2026-08-24

Roles and scope

Allaam’s operator acts as controller for website/account data and as processor for monitoring data scoped by the customer under the applicable agreement and context.

Data categories

Categories include account, profile and authentication data; contact/demo data; news, public-web and authorised social-asset data; provenance URLs; customer files and institutional knowledge; and AI prompts, outputs and review records.

Purposes and boundaries

Data supports monitoring, intelligence, reporting, security, support and compliance. We do not sell personal data, access private or inaccessible content, or claim platform-wide Facebook or Instagram search.

AI processing

Authorised evidence may be sent to a configured provider when activated by the customer. Sanitised records are retained; outputs remain human-reviewable and are never automatically published.

Retention and deletion

Tenant retention, historical retention and legal hold apply. Integrations may be disconnected and deletion requested; an unverified public request never causes immediate deletion.

Providers and transfers

We do not list unconfigured providers or processing countries. Cross-border processing may occur only when a configured service operates outside the data subject’s country and is subject to available contractual safeguards.

Security, rights and contact

We apply isolation, permissions, audit, available encryption and private backups without an absolute guarantee. Use Contact or Data Deletion to exercise access, correction or deletion rights.

Contact and updates

Use Contact for questions. Material changes are published here with clear versions and dates, without inventing addresses, registrations or certifications.

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