1. Website audience
The corporate website is intended for company information, business contact, and player support. It does not currently offer registration, social interaction, targeted advertising, or on-site purchases and is not directed primarily to children.
2. Product-by-product assessment
A game's intended audience is determined from its content, design, marketing, age rating, features, and likely users. Do not assume a game is child-directed or not child-directed solely from this corporate website. Product notices and store listings provide the relevant details.
3. Data-minimization rules
If a product is directed to children or we know a user is a child, we limit collection to what the feature reasonably needs, use age-appropriate explanations, avoid behaviorally targeted advertising, restrict social and purchase features where appropriate, and do not condition play on unnecessary personal data.
4. Parental consent
Where law requires it, we obtain verifiable parental or guardian consent before collecting a child's personal data. The method depends on the data, feature, risk, and local law. Consent may be withdrawn and a guardian may request access, correction, restriction, or deletion.
5. Regional rules
We consider COPPA in the United States, the GDPR and UK GDPR rules for children's consent, China's protections for personal information of children under 14, and relevant requirements in Japan, Korea, and other release markets. The applicable age and duties may vary by country.
6. Contact from a child
A child who needs support should ask a parent or guardian to contact us and should provide only what is necessary to solve the issue. Do not send a password, full payment information, identity document, precise location, or unrelated personal details.
7. Parent or guardian requests
If you believe a child provided data without appropriate authorization, email qora@jojomeow.com with “Children's Privacy Request” in the subject. Include the product name and enough information to investigate. We may verify guardianship before disclosing or deleting records.