moderation enforcement · Privacy Policy
Avallon AI policy finding
“This includes obtaining all legally required consents from end users prior to initiating or enabling automated calls, prerecorded voice messages, or call recordings through the Services. The Company acts as a technology platform and service provider with respect to voice communications and is not responsible for your compliance obligations as the party directing use of these features. · Inferences: We may make inferences based on the information we collect for marketing and sales purposes, such as associating website sessions with a person or company and enriching with professional or firmographic details. We do not use claim content or customer data for this purpose. · Information from Third-Party Sources: We may receive limited information from service providers or publicly available sources as necessary for fraud prevention, security, or compliance purposes. We do not purchase consumer marketing profiles for personal or household purposes. · Sensitive and Regulated Information: The Services are designed for use by insurance carriers, third-party administrators, and their partners in connection with claims operations. In that context, the Services may process information that constitutes protected health information (“ PHI ”) as defined under the Health Insurance Portability and Accountability Act of 1996 (“ HIPAA ”). Where required, the Company enters into Business Associate Agreements (“ BAAs ”) with covered entities and business associates prior to processing PHI through the Services. ”
- Document
- Privacy Policy
- Captured
- 2026-07-19
- Location
- § 1
- Snapshot SHA-256
- 88b97759a62d29ef3e8fdd8f7cf4e086eaf533c12fbc3a887e0d7325e030ed9f
Informational only, not legal advice. Terms change; verify the source and capture date.