Prevail Legal, Inc., (“Prevail”) is a Delaware Corporation based in Santa Clara, CA. We offer a cloud based testimony management platform. (services). We perform these services and maintain records related to our work for the better of our customers’ needs. We take the privacy of the personally identifiable information and non-public information we collect, process, use, disclose and retain seriously. In fact, privacy—and the maintenance of confidentiality and client privilege—are core operational values of Prevail.
The Policy covers information provided to us directly or indirectly through [WEBSITE] information gained from other online sources; and information we receive from offline sources, such as in-person contact or regular mail. If you have questions or concerns about the Policy, or need to bring any privacy-related issues to our attention, please contact Rob Feigenbaum, President and CEO. Rob can be reached at Rob@prevail.io, (845) PREVAIL.
Types of Information We Collect
In our course of business, we may collect information including:
What We Do With the Information We Gather
We collect this information in part to:
Sources of Information
We receive and collect your information from a number of sources. These include:
In the course of our business, we disclose in your information in the following ways:
A cookie is a small file that requests permission to be placed on your computer’s hard drive. Once you agree, the file is added and the cookie helps us analyze Web traffic and provide better service, both during live sessions and on an ongoing basis. Cookies allow Web applications to respond to you as an individual. The Web application, through interaction with cookies, can tailor its operations to your needs, likes, and dislikes by gathering and remembering information about your preferences.
Overall, cookies help us provide you with a better Website experience. For instance, they enable us to monitor the pages you find most useful. A cookie in no way gives us access to your computer or any information about you, other than the data you choose to share with us.
You can choose to accept or decline cookies. Web browsers sometimes accept cookies automatically, but you can usually modify your browser setting to decline cookies if you prefer; this, however, may prevent you from taking full advantage of the Website.
We are committed to ensuring that we maintain the security, confidentiality and integrity of your information. We store and manage your Web-based information on secure, certified and audited servers, whether used directly by us or provided by third-party service vendors. To prevent unauthorized access or disclosure of your personal information in violation of state and federal data breach law, we have put in place physical, technical and administrative safeguards to secure the information we collect online. We contractually hold any third-party data processors, including our vendors, to the same standards and expectations that we ourselves follow and observe.
Links to Other Websites
Fair Information Privacy Principles
As staunch believers in the protection of your data and your privacy, we incorporate widely accepted and practiced privacy principles into our everyday business conduct and operating procedures. These fair information privacy principles, as they are often referred to, include:
________ anticipates it will coduct business with customers who are also residents of California, On January 1, 2020, the California Consumer Privacy Act (CCPA) went into effect. This comprehensive law afforded residents with unprecedented rights, including the right to know whether business are selling their information to third parties and to opt out of these sales, and the right to erase information upon request. However, Prevail is currently exempt from complying with this law based on criteria enumerated in the CCPA. If and when this changes, and the exemptions no longer apply, we will amend the Policy to reflect our duties and your rights under the law.
Information From Children
Prevail does not knowingly collect personal information from children under the age of 16. We do not even contemplate forming direct legal and business relationships with children without the involvement or consent of parents or guardians. If we become aware that we have collected personal information from these children without this involvement or consent, we will immediately notify parents and delete the data in question.
Changes to the Policy
The Policy is current as of August 10, 2020. It is subject to amendment and revision as needed. We will notify you through any and all available means of pending changes to the Policy and give you the opportunity to consent to the changes. We will publish the effective date of any and all revised versions of the Policy. Any issues with or requests related to the policy that occur before the effective date of the amended Policy will apply to the Policy that was in effect on the operable date.
Questions and Concerns
Please direct any and all questions, concerns related to the Policy or about your personal information to Rob Feigenbaum, President and CEO, firstname.lastname@example.org, 845-PREVAIL