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Unlimited
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PORT://8080_
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VER: 4.5.2
USER://GUEST
FPS: 60
STATUS:SECURE
PROTOCOL: HTTPS
PORT: 443
SIGNAL
BANDWIDTH: MAX
LATENCY: 12ms
UPTIME: 99.9%
TERMINAL://FANZ
Privacy & Compliance

Privacy & Age Verification Policy

Effective Date: October 2, 2024 | Last Updated: November 5, 2025

Entities Covered

This Policy applies to FANZ™ Group Holdings LLC and its affiliates, including Fanz™ Unlimited Network LLC ("FANZ," "we," "us," "our"), operating: FanzUnlimited.com, BoyFanz, GirlFanz, PupFanz, our adult toy store, media services, and associated apps/sites (collectively, the "Platforms").

Contact (Compliance & Privacy):

Fanz™ Unlimited Network LLC

30 N Gould Street #45302, Sheridan, WY 82801

support@fanzunlimited.com

Designated Custodian of Records (18 U.S.C. §2257): FANZ will designate and publish the Custodian's contact details on the Platforms as required by law. Records are maintained in secure, access-restricted systems.

I. Age Verification Protocols

We maintain strict, multi-factor age verification for performers (content stars) and end-users (viewers/subscribers). We use AgeChecker.Net for real-time verification and fraud prevention.

1. Performers (Content Stars)

Minimum Age

All performers must be 18+ at account registration; every individual depicted in content must have been 18+ at time of recording.

Verification Flow (must be completed before activation):

  1. 1.
    Government-Issued ID. Current, valid photo ID with name, DOB, and photo.
  2. 2.
    Live Biometric Match. Live selfie required; facial recognition compares selfie to ID to confirm liveness and identity.
  3. 3.
    U.S. Tax Forms. W-9 (U.S. persons) and any forms required for non-U.S. persons (e.g., W-8BEN).
  4. 4.
    Real-Time Authentication. AgeChecker.Net authenticates ID; flagged cases undergo manual review.
  5. 5.
    Approval & Re-verification. Accounts remain inactive until approved; periodic and event-based re-verification may be required.

Ongoing Monitoring

  • • Routine audits of IDs, consent forms, and published content.
  • • Any suspected fraud, identity mismatch, or age risk triggers immediate suspension pending investigation.

Recordkeeping (18 U.S.C. §2257)

  • • We securely maintain performer records, IDs, and consent documentation in encrypted systems with role-based access.
  • • We will promptly cooperate with lawful inspections and subpoenas consistent with applicable law.

2. End-Users (Viewers & Subscribers)

Gatekeeping & Checks

  1. 1.DOB collection on signup.
  2. 2.Automated check via AgeChecker.Net; if flagged, government ID may be required.
  3. 3.Credit card authorization (optional) as an added anti-fraud/age signal.
  4. 4.Activation only after successful verification; suspicious accounts are suspended.

Parental Controls

  • • Clear 18+ warnings and access blocks for underage users.
  • • Industry initiatives to reduce underage access are supported across our stack.

II. Content Moderation & Enforcement

3. Pre-Upload Review

Automated + Manual review identifies and blocks:

  • • CSAM; non-consensual/"revenge porn"; trafficking; coercion; illicit/violent acts.
  • • Copyright-infringing material.
  • • §2257 compliance failures.

Sensitive categories (e.g., BDSM, roleplay) may require additional consent verification.

4. Post-Upload Monitoring & Reporting

  • • Community reporting tool (anonymous option). Reviewed within 24 hours; violative content removed.
  • • Routine rescans + audits to catch late-detected violations.

5. Live Streams & Chat

  • • Real-time AI monitoring for harassment, illegal activity, age-gate evasion, and prohibited solicitations.
  • • Moderators review flags; immediate takedowns/bans; law enforcement referrals where required.

6. Violations & Escalation

  • Content Removal (immediate).
  • Account Sanctions: warning/suspension; repeat or egregious = permanent ban.
  • Law Enforcement: Mandatory reports of suspected CSAM to NCMEC and appropriate authorities.
  • Civil Action: We reserve all rights to pursue injunctive relief and damages.

III. Compliance, Security & Data Protection

7. Secure Handling & Retention

  • • Encrypted storage for IDs, consent forms, and verification artifacts.
  • • Access limited to vetted compliance personnel under confidentiality.
  • • Retention only as needed for legal obligations, dispute defense, fraud prevention, and auditability; biometric templates (facial vectors) retained only for verification windows and then deleted or irreversibly de-identified unless a longer legal obligation applies.

8. Legal Frameworks & Audits

We adhere to:

  • 18 U.S.C. §2257 (Recordkeeping for adult content).
  • DMCA (takedown/notice-and-takedown procedures).
  • U.S. & international anti-trafficking laws.
  • Global privacy regimes (GDPR/UK-GDPR/CPRA, etc.) as detailed in the Privacy Policy below.
  • • Quarterly internal compliance audits; periodic third-party reviews as needed.

9. Policy Updates

We may revise this Policy; major updates will be announced on the Platforms. Continued use indicates acceptance.

10. Contact (Violations & Questions)

  • • In-platform reporting tool
  • support@fanzunlimited.com
  • • Fanz™ Unlimited Network LLC, 30 N Gould Street #45302, Sheridan, WY 82801

Privacy Policy

Effective Date: October 2, 2024 | Last Updated: November 5, 2025

This Privacy Policy explains how FANZ collects, uses, shares, and protects personal information across our Platforms.

A. Scope & Roles

  • Controller: FANZ for most platform operations.
  • Processors/Sub-processors: e.g., AgeChecker.Net (ID/age checks), payment processors (e.g., PayPal), analytics vendors (e.g., Google Analytics).
  • Joint Controllers: Where required by law (we will disclose when applicable).

B. Categories of Data We Collect

  1. 1.
    Account & Contact Data: name, handle, email, username, phone (optional).
  2. 2.
    Government ID & Verification Data (Performers / as needed Users): ID images, DOB, ID number metadata, live selfie and facial embeddings (biometric) used strictly for identity/age verification and anti-fraud.
  3. 3.
    Financial & Transaction Data: payment method tokens (held by processor), transaction IDs, payout history, tax forms (W-9/W-8).
  4. 4.
    Content & Communications: uploads, captions, messages, support requests.
  5. 5.
    Device/Usage ("Device Information"): IP, user agent, time zone, cookies, page interactions, referral paths, approximate location (derived from IP), server logs.
  6. 6.
    Risk & Safety Signals: fraud scores, moderation flags, trust & safety notes.

Biometric Notice: Where required by law, we obtain consent for facial recognition/biometric matching, use it solely for lawful age/ID verification, liveness detection, and fraud prevention, and apply minimal retention (see "Retention").

C. Sources

Directly from you; automatically via cookies/logs; from verification providers, payment processors, and analytics partners as part of services you use.

D. Purposes & Legal Bases

  • • Provide services & support (contract necessity).
  • • Payments & payouts (contract necessity; legal obligation).
  • • Age/ID verification & fraud prevention (legal obligation; substantial public interest where applicable; legitimate interests).
  • • Moderation & safety (legal obligation; legitimate interests).
  • • Analytics & product improvement (legitimate interests; consent where required).
  • • Marketing (your preferences respected) (consent/legitimate interests).
  • • Legal compliance, audits, and enforcement (legal obligation; legitimate interests).

Where consent is the legal basis (e.g., certain biometrics or cookies in the EU/UK), you can withdraw consent at any time; withdrawal does not retroactively invalidate processing already performed.

E. Sharing (No Sale of Personal Information)

We do not sell personal data. We may share with:

  • Processors/Sub-processors: AgeChecker.Net; payment processors (e.g., PayPal); hosting/CDN; analytics; anti-fraud; customer support.
  • Creators/Users: when you publish or DM, information you choose to make public or send is visible to the intended recipients.
  • Law Enforcement/Legal: to comply with law, protect safety, prevent fraud/abuse, respond to valid legal requests.
  • Corporate Transactions: merger, acquisition, financing, or sale; data transfers subject to this Policy or successor policies with notice.

F. International Transfers

Where data moves outside your country (e.g., to the U.S.), we use recognized transfer mechanisms (e.g., EU SCCs/UK IDTA) and additional safeguards as needed.

G. Retention

We retain data only as long as necessary for the purposes above and to comply with law, resolve disputes, and enforce agreements. Illustrative windows:

  • Verification Images/Biometrics: minimal period to complete verification + defined safety window; then delete or de-identify unless we must retain to meet legal obligations or to defend legal claims.
  • Tax/Transaction Records: per statutory requirements (often 3–7+ years).
  • Moderation/Audit Logs: risk-based periods to prevent repeated abuse and support law enforcement where warranted.

H. Security

We use administrative, technical, and physical safeguards (encryption in transit/at rest; access controls; segmented environments; monitoring). No system is 100% secure; report suspected issues to support@fanzunlimited.com.

I. Cookies & Similar Tech

We use cookies and SDKs for core functionality, analytics, security, and (where permitted) marketing. Manage settings in your browser and (where available) our cookie banner/preferences.

J. Your Rights

U.S. (incl. CA/VA/CO/CT/UT) & Global: Depending on your region, you may have rights to:

  • • Access, correct, delete personal data.
  • • Portability (copy of your data).
  • • Restrict or object to certain processing.
  • • Opt-out of "sale"/"sharing" (CPRA) and targeted advertising. We do not sell data, but you may still exercise opt-out rights.
  • • Limit use of Sensitive Personal Information (CPRA).
  • • Withdraw consent (where applicable).
  • • Appeal a decision on your request (where required).

EU/UK: You also have the right to lodge a complaint with your local supervisory authority.

How to exercise: Email support@fanzunlimited.com with your request. We will authenticate your identity (and, if applicable, your authorized agent) and respond within statutory timelines. We will not discriminate for exercising rights.

K. Children

Our Platforms are 18+ only. Attempts by minors to access will be blocked and can result in permanent IP/device bans. We do not knowingly collect data from children.

L. Automated Decisions & Profiling

We use automated signals (e.g., fraud scores, moderation heuristics) to protect our community. You may request human review of decisions that produce legal or similarly significant effects where applicable law provides that right.

M. DMCA & Non-Consensual Content

We act on valid DMCA notices and on reports of non-consensual intimate imagery (NCII). Use the in-platform tool or email support@fanzunlimited.com. Expedite by including URLs, timestamps, and proof of ownership/identity.

N. Do Not Track

Our services currently do not respond to browser DNT signals. Use available privacy controls (cookie settings, analytics opt-outs) and platform settings.

O. Changes

We may update this Policy. Material changes will be posted on the Platforms with an updated "Last Updated" date. Continued use constitutes acceptance.

P. Contact

Fanz™ Unlimited Network LLC

30 N Gould Street #45302

Sheridan, WY 82801

support@fanzunlimited.com