Moonshot Junior, Inc. d/b/a Moonpreneur (“Moonpreneur,” “we,” “us,” or “our”) respects the privacy of its Users. This policy explains how personal information is collected, used, disclosed, and safeguarded on the Moonpreneur platform. The company offers STEM-based educational programs for children ages 7-17.
We DO NOT SELL YOUR PERSONAL INFORMATION, nor do we intend to do so.
PLEASE NOTE: IF YOU USE OUR WEBSITE, APP, SERVICES, OR PLATFORM, YOU HAVE AGREED TO AND ACCEPTED THE PRACTICES DESCRIBED IN THIS PRIVACY POLICY.
Moonshot Junior, Inc. d/b/a Moonpreneur (“Moonpreneur,” “we,” “us,” or “our”) respects the privacy of its Users. The policy explains how personal information is collected, used, disclosed, and safeguarded on the Moonpreneur platform. The company offers STEM-based educational programs for children ages 7-17.
The platform operates globally and complies with local laws including GDPR for EU residents. Delaware law governs use for US residents. Other jurisdictions must ensure compliance with local regulations.
Moonpreneur complies with COPPA and GDPR by obtaining verified parental consent before collecting data from minors. Parents must complete and submit a consent form before children access the platform.
WE DO NOT KNOWINGLY PROVIDE STUDENT USERS UNDER 18 ACCESS TO OUR PLATFORM, APP AND SERVICES UNLESS WE HAVE RECEIVED THE COMPLETED PARENTAL CONSENT FORM.
Personal information collected includes names, addresses, contact details, and passwords during registration. Geolocation and equipment information may be gathered to improve system performance. Audio/visual information, educational data, and learning progress metrics are also collected.
We currently do not collect or store any credit cards or bank information, as we are using a third-party payment processor.
Sub-sections:
Data is gathered during website registration, event sign-ups, email correspondence, and app downloads. Information comes from transaction records, newsletter subscriptions, surveys, and user-generated content. Automatic collection occurs through cookies, IP addresses, device identifiers, and analytics tools.
We collect information in the following ways:
Automatic Collection:
Information personalizes user experience and delivers requested products or services. The company creates student accounts, tracks educational progress, and builds verifiable portfolios for applications. Data supports communication between students, parents, and educators while ensuring legal compliance.
Important Video Recording uses:
Information Shared With Social Media Platforms may include:
“Cookies are small pieces of text used to store information on web browsers.” The company uses cookies for shopping carts, preferences, advertisements, and fraud detection. Users may refuse cookies, though this may affect experience; EU residents must provide consent for non-essential cookies.
“Moonpreneur is committed to safeguarding the personal information you entrust to us.” Technical, organizational, and administrative security measures protect data from unauthorized access. Websites receive regular security scans, penetration tests, malware detection, and SSL certificates.
a. Security Measures
Industry-standard encryption and firewalls protect all stored information. Users are responsible for maintaining password confidentiality. Internet transmission cannot be guaranteed completely secure; users assume transmission risk.
b. Fair Information Practice Principles
Data breaches trigger notification within 72 hours via email or platform notification. Individuals possess rights to pursue legal remedies against non-compliant data collectors. “We agree to the individual redress principle, which requires that individuals have a right to pursue legally enforceable rights against data collectors and processors who fail to adhere to the law.”
Other Disclosure:
a. Data Retention
Personal information is retained only as long as necessary for collection purposes. Account information retained indefinitely until user closes account. Transaction records retained seven years for financial/tax compliance; longer retention permitted when legally required or for legal claims.
b. Data Minimization
“We are committed to the principle of data minimization.” Only necessary personal information is collected. Technical safeguards ensure data adequacy and relevance; quarterly audits identify unnecessary data.
c. Secure Deletion
Industry-standard deletion methods render data permanently unrecoverable upon retention expiration. Internal documentation maintains records of deletion activities per legal compliance.
“Google, as a third-party vendor, uses Cookies to serve advertisements to Users.” Google Analytics collects website and app usage data for assessment. Advertising features include remarketing, Display Network reporting, Demographics reporting, and DoubleClick integration.
Moonpreneur is headquartered in the US with operations in the US and India. Personal information may transfer to these locations for processing. Data protection laws differ across jurisdictions; EU GDPR requires adequate protections for cross-border transfers.
a. EU Standard Contractual Clauses
New Standard Contractual Clauses (SCCs) replace old clauses from June 4, 2021. “We now comply with the New SCCs with respect to the transfer of Personal Data from the EU to the US.”
b. The New SCCs
c. Our GDPR Compliance Commitment
d. Rights of Data Subjects — Contact privacy@moonpreneur.com:
Australian Privacy Principles govern privacy under the Privacy Act 1988. “WE DO NOT SIGN UP CONSUMERS TO RECEIVE OUR SERVICES WITHOUT OBTAINING THE CONSENT FORM.”
a. Definition of Personal Information
Personal information identifies individuals or reasonably identifiable persons. Sensitive information includes racial/ethnic origin, political opinions, religious beliefs, trade union membership, sexual orientation, criminal records, health information, genetic information, and biometric information. Sensitive information is only collected with consent.
b. Rights of Data Subjects
c. Data Breach Notification
Written notification via email/SMS includes: kinds of information involved, description of breach, recommended response steps.
Brazil’s LGPD (Lei Geral de Proteção de Dados) applies to Brazilian residents. “We comply with the Lei Geral de Proteção de Dados (General Data Protection Law, or LGPD).”
a. Brazilian Data Protection Officer
Alok Jain (privacy@moonpreneur.com) ensures Brazilian user privacy protection per LGPD.
b. Data Breach
Notification within 72 hours via email or platform notification. Individual redress principle allows legally enforceable rights against non-compliant data processors.
PIPEDA (Personal Information Protection and Electronics Document Act 2000) governs Canadian privacy.
a. Definition of Personal Information
Any information about identifiable individuals, including business contact information (name, position, address, professional phone).
b. Right to Access Personal Information
Users can request personal information Moonpreneur holds, explaining use, listing third parties, providing copies in accessible formats.
c. Right to Correction/Limited Right to Deletion
Users can request correction/deletion if demonstrating inaccuracy; deletion/correction within 30 days with third-party notification.
d. Right to be Forgotten
Information retained as long as required; unless notified otherwise, information retained until user terminates account.
e. Data Breach Notification
Notification sent as soon as feasible if breach creates “real risk of significant harm.” Records of all breaches maintained for Privacy Commissioner access.
f. Canadian Privacy Officer
Alok Jain (privacy@moonpreneur.com) ensures Canadian user privacy protection per PIPEDA.
g. Two Factor Authentication
Users may enable two-factor authentication requiring password plus mobile code entry for access.
h. Contact Information
Contact at privacy@moonpreneur.com or mailing address for information requests, corrections, deletions; response within 30 calendar days with identity verification required.
Agreement functions as electronic record per Indian Information Technology Act 2000. Published per Rule 3(1) IT Act 2011 and Rule 4 IT Rules 2011 requirements. All data collected, processed, used, and stored per applicable Indian laws; requests for access, correction, deletion via privacy@moonpreneur.com.
“Moonpreneur does not sell, trade, or otherwise transfer to outside third parties your ‘Personal Information’.” California Civil Code § 1798.83 permits residents to request disclosure of third-party transfers. Deletion removes ability to provide services; deletion may be delayed during shutdown/billing.
CCPA (California Consumer Privacy Act 2018) applies to California residents. “We adopt this Section to comply with the California Consumer Privacy Act of 2018 (‘CCPA’).”
a. Right to Request Personal Information
Upon request, provide collected personal information list, collection sources, collection reasons, third-party sharing. Lists provided twice per 12-month period maximum.
b. Right to have Personal Information Deleted
Deletion requested results in complete removal and service provider notification. Service removal results from deletion.
c. Non-Discrimination Right
Cannot deny goods/services, charge different prices, provide different service levels, or suggest different pricing/quality for rights exercise.
d. Financial Incentives
CCPA-permitted financial incentives allowed with prior opt-in consent (revocable anytime); incentives reasonably relate to information value with written material terms.
e. Contact Information
Contact privacy@moonpreneur.com or mailing address for information requests, complaints, deletion requests, policy discussions; response within 45 days with identity verification required.
f. Under 16
Personal information not sold without parental/guardian consent for under-16 users or if user requests non-sale.
g. Opt Out Right
Request “opt out” stopping personal information sales at privacy@moonpreneur.com or mailing address.
SOPIPA (California legislation) protects K-12 students under 18. “Under SOPIPA, we do not use any of the personally identifiable information (PII) of students under 18.” Collected PII used only for platform improvement, maintenance, support.
Company Will:
State-level privacy laws (Colorado, Virginia, Utah, etc.) provide consumer rights. Rights include data access, correction, deletion, collection knowledge, sale/sharing opt-out, targeted advertising opt-out, appeal rights. Contact privacy@moonpreneur.com to exercise rights; response within 30 days.
COPPA (Children’s Online Privacy Protection Act) applies to personal information collection from under-13 children. “Our Website, App, Services, and Platform do not target children under the age of 13.” Platform lacks age-screening, potentially collecting under-13 information unintentionally. Under-13 data collected without parental consent is promptly deleted.
CAN-SPAM establishes commercial message requirements, recipient opt-out rights, violation penalties. Per act requirements, Moonpreneur will:
Unsubscribe mechanisms are visible, functional, requiring single reply or webpage visit for opt-out.
“Moonpreneur reserves the right, at its sole discretion, to change or modify this Privacy Policy at any time.” Modifications are binding upon user acceptance of modified policy. Notification occurs via privacy policy page publication or comparable means within reasonable timeframe; continued use constitutes consent.
Questions/concerns: contact privacy@moonpreneur.com.
“If you believe that any content on our Website, App, Services, or Platform violates your copyright” please submit a DMCA Takedown Notice including:
Copyright Agent: DMCA Manager (dmca@moonpreneur.com; Moonshot Junior, Inc., 735 Saratoga Ave, San Jose).
Moonpreneur represents full awareness and compliance with Foreign Corrupt Practices Act, UK Anti-Bribery Act, India Prevention of Corruption Act 1988, applicable anti-bribery statutes. “Company represents and warrants that neither it nor any of its employees, officers, or directors is an official.” Policies ensure anti-bribery law compliance; no bribes offered, promised, or authorized to government officials.
To ask questions or comment about this Privacy Policy and our privacy practices, contact us at: