Frekil
Graded against 811 verified platforms, from its own policy text. Automated assessment against a published rubric — not legal advice.
No lens is bandable yet — banding requires fully verified documents with on-criteria findings. The gap is shown honestly, never estimated.
Partially verified: Privacy Policy assessed. Everything below comes only from what was read in full.
Watch: subprocessors data sharing
Start here. These are the highest-risk verified clauses AIRIN found in the platform's own policy text.
Prohibits the sale of Personal Data; permits sharing with corporate affiliates only, who are required to honor the Privacy Policy — user-protective restriction on data sharing scope.
Establishes an obligation to retain Personal Data only as long as necessary for stated purposes, unless law requires longer retention, and imposes a further obligation to securely delete or anonymize data once it is no longer needed.
Establishes a multi-step dispute resolution procedure: users must first contact the company directly to allow resolution of privacy complaints; if unresolved, users retain the right to escalate to the relevant data protection authority in their jurisdiction, with explicit mention that residents in certain regions may contact their applicable supervisory authority.
How to read this page: Overall risk rates what Frekil's own policy terms mean for your prompts, outputs, and data. The benchmark bands below grade those same verified terms relative to peers — a platform in a risky-by-default category can rate HIGH risk and still grade STRONG against its peer set. Both trace to the cited findings.
Partially verified — Privacy Policy — Verified (read in full, 25 findings). Findings below are from fully-read, verified documents only; remaining core documents are pending capture.
Terms not yet captured
AIRIN has not yet captured a gate-verified Terms of Service document for this platform.
- Privacy PolicyVerified - read in full - 25 citationsLast captured 2026-07-20
Only citation-backed plan differences are shown here; absent cells mean AIRIN has not verified a tier-specific claim.
Defines a category of Personal Data received from third-party sources (business partners, data providers, marketing partners, publicly available sources) where permitted by applicable law.
" 5.3 Data from Third Parties We may receive Personal Data about you from business partners, data providers, marketing partners, and publicly available sources, where permitted by applicable law."
Creates an exception for aggregate or de-identified data — stating it falls outside the Privacy Policy's protections and may be used for any lawful business purpose once it can no longer reasonably identify an individual.
" 5.4 Aggregate and De-Identified Data We may aggregate or de-identify Personal Data such that it can no longer reasonably identify you. Such data is not subject to this Privacy Policy and may be used for any lawful business purpose."
Permits transfer of Personal Data to a successor entity in connection with a merger, acquisition, or sale of assets, and establishes an obligation to notify users to the extent required by law.
" 7.3 Business Transfers In connection with a merger, acquisition, or sale of assets, your Personal Data may be transferred to a successor entity. We will notify you to the extent required by law."
Clause B states that Personal Data may be shared 'only in these limited circumstances' (listing affiliates), while Clause A describes additional, unlisted circumstances for disclosure (legal compliance and safety), creating conflicting statements about when data may be shared or disclosed.
" 7.4 Legal Compliance and Safety We may disclose Personal Data if required by law, court order, or governmental authority, or to protect the rights, property, or safety of Frekil, our users, or the public."
" We do not sell your Personal Data. We may share it only in these limited circumstances: 7.1 Affiliates We may share Personal Data with our corporate affiliates, who are required to honor this Privacy Policy."
Within one document
Evidence appendix
Showing priority citations first. The full appendix is available for audit trails; not every citation is a severe risk.
" We do not sell your Personal Data. We may share it only in these limited circumstances: 7.1 Affiliates We may share Personal Data with our corporate affiliates, who are required to honor this Privacy Policy."
Prohibits the sale of Personal Data; permits sharing with corporate affiliates only, who are required to honor the Privacy Policy — user-protective restriction on data sharing scope.
AI-generated interpretation, not legal advice.
" We retain Personal Data for as long as necessary to fulfill the purposes outlined in this Privacy Policy, unless a longer retention period is required or permitted by law. When we no longer need your Personal Data, we will securely delete or anonymize it."
Establishes an obligation to retain Personal Data only as long as necessary for stated purposes, unless law requires longer retention, and imposes a further obligation to securely delete or anonymize data once it is no longer needed.
AI-generated interpretation, not legal advice.
" 7.5 With Your Consent We may share Personal Data with third parties when you have given us explicit consent to do so."
Permits sharing Personal Data with third parties where the user has provided explicit consent, conditioning this form of sharing on affirmative user authorization.
AI-generated interpretation, not legal advice.
" If you believe we have not adhered to this Privacy Policy, please contact us first at founders@frekil.com so we have the opportunity to address your concern. If we are unable to resolve your complaint, you may have the right to submit a complaint to the data protection authority in your jurisdiction. EEA and UK residents may also contact their applicable supervisory authority."
Establishes a multi-step dispute resolution procedure: users must first contact the company directly to allow resolution of privacy complaints; if unresolved, users retain the right to escalate to the relevant data protection authority in their jurisdiction, with explicit mention that residents in certain regions may contact their applicable supervisory authority.
AI-generated interpretation, not legal advice.
" Our Services are not directed to children under the age of 13. We do not knowingly collect Personal Data from children under 13. If we become aware that we have inadvertently received Personal Data from a person under 13, we will delete such information from our records immediately. If you believe we may have collected information from a child under 13, please contact us at founders@frekil.com ."
Restricts the Services from being directed to children under 13 and prohibits knowing collection of Personal Data from that age group; imposes an obligation to delete any inadvertently collected data from children under 13 immediately upon discovery — user-protective restriction.
AI-generated interpretation, not legal advice.
" 5.4 Aggregate and De-Identified Data We may aggregate or de-identify Personal Data such that it can no longer reasonably identify you. Such data is not subject to this Privacy Policy and may be used for any lawful business purpose."
Creates an exception for aggregate or de-identified data — stating it falls outside the Privacy Policy's protections and may be used for any lawful business purpose once it can no longer reasonably identify an individual.
AI-generated interpretation, not legal advice.
" 8.4 California Residents (CCPA/CPRA) California residents have the right to know what Personal Data we collect and how it is used, the right to delete their Personal Data, the right to opt out of the sale or sharing of Personal Data (we do not sell Personal Data), and the right to non-discrimination for exercising these rights. Contact founders@frekil.com to submit a request."
Specifies rights held by California residents, including the right to know what Personal Data is collected and how it is used, the right to delete Personal Data, the right to opt out of sale or sharing (noting no sale occurs), and the right to non-discrimination for exercising these rights; provides a contact mechanism for submitting requests.
AI-generated interpretation, not legal advice.
" 7.2 Service Providers We engage trusted third-party vendors for cloud hosting, analytics, customer support, email delivery, and security monitoring. They are contractually prohibited from using your data for any other purpose."
Discloses engagement of third-party service providers for cloud hosting, analytics, customer support, email delivery, and security monitoring; imposes a contractual prohibition preventing those vendors from using Personal Data for any purpose beyond the contracted service — user-protective restriction on subprocessor use.
AI-generated interpretation, not legal advice.
" Frekil Inc. and its affiliates (“Frekil,” “we,” “our,” or “us”) are committed to protecting the privacy of users (“you” or “user”) of our websites, platforms, applications, and related services (collectively, the “Services”). This Privacy Policy describes how we collect, use, disclose, and safeguard your Personal Data. “Personal Data” means data that identifies or can reasonably identify you. Questions? Contact us at founders@frekil.com ."
Defines the entities covered ('Frekil,' 'we,' 'our,' 'us'), the services subject to the policy, and the meaning of 'Personal Data' (data that identifies or can reasonably identify you), and states the policy's scope — collect, use, disclose, and safeguard Personal Data.
AI-generated interpretation, not legal advice.
" We reserve the right to update this Privacy Policy at any time. When we do, we will revise the “Last Updated” date at the top of this page and post a prominent notice. Where required by applicable law, we will provide direct notice. Your continued use of the Services following the posting of changes constitutes your acceptance of the revised Policy."
Reserves the right to update the Privacy Policy at any time, requires revision of the last-updated date and posting of a prominent notice, provides direct notice where required by law, and deems continued use of Services as acceptance of any revised policy.
AI-generated interpretation, not legal advice.
" 5.1 Personal Data You Provide We collect information you voluntarily provide to us, including when you: — Request a demo or product trial — Create an account or register for our Services — Contact us via email, phone, or web forms — Subscribe to our newsletter or marketing communications — Participate in surveys, research, or events — Apply for a job or partnership This may include your name, email address, job title, company name, phone number, and any other information you choose to provide."
Defines the categories of Personal Data voluntarily provided by users across various interactions (demo requests, account creation, contact, newsletter subscription, surveys, job applications), listing specific data types such as name, email, job title, company, and phone number.
AI-generated interpretation, not legal advice.
" 5.2 Data Collected Automatically When you use our Services, we and our third-party providers automatically collect technical and usage data, including IP address, browser type, device identifiers, operating system, referring URLs, pages visited, and clickstream data. We use cookies, web beacons, and similar tracking technologies. You can control cookies through your browser settings. We use Google Analytics — you may opt out by installing the Google Analytics Opt-out Browser Add-on ."
Defines the technical and usage data automatically collected (IP address, browser type, device identifiers, OS, URLs, pages visited, clickstream) via cookies, web beacons, and tracking technologies; discloses third-party analytics use (Google Analytics) and provides an opt-out mechanism.
AI-generated interpretation, not legal advice.
" 5.3 Data from Third Parties We may receive Personal Data about you from business partners, data providers, marketing partners, and publicly available sources, where permitted by applicable law."
Defines a category of Personal Data received from third-party sources (business partners, data providers, marketing partners, publicly available sources) where permitted by applicable law.
AI-generated interpretation, not legal advice.
" 6.1 Provision and Improvement of Services — Provide, operate, maintain, and improve our Services — Process transactions and send related information — Respond to your comments, questions, and requests — Send administrative and technical notices — Monitor and analyze usage trends and activities — Detect, investigate, and prevent security incidents and fraud — Comply with legal obligations and enforce our agreements — Carry out any other purpose described to you at the time of collection "
Lists the purposes for which Personal Data is processed, including operating and improving Services, processing transactions, responding to users, sending notices, monitoring usage, detecting fraud and security incidents, complying with legal obligations, enforcing agreements, and any purpose disclosed at time of collection.
AI-generated interpretation, not legal advice.
" 6.2 Marketing Communications With your consent (where required by law), we may send you marketing emails, newsletters, and updates. You may opt out at any time by clicking the unsubscribe link in any email or by contacting founders@frekil.com . Opting out will not affect transactional or service-related emails."
Permits sending marketing emails and newsletters with user consent where required by law; grants users the right to opt out at any time via unsubscribe link or email; clarifies that opting out does not affect transactional or service-related emails.
AI-generated interpretation, not legal advice.
" 6.3 Feedback If you provide feedback or suggestions, we may use that information to improve our Services without any obligation to you."
Permits Frekil to use voluntarily provided feedback or suggestions to improve its Services without incurring any obligation to the user providing the feedback.
AI-generated interpretation, not legal advice.
" 6.4 Legal Bases (GDPR) If you are located in the European Economic Area, we process your Personal Data on the following legal bases: performance of a contract, compliance with a legal obligation, our legitimate interests (e.g., improving and securing our Services), and, where applicable, your consent."
Identifies the legal bases on which Personal Data is processed for users in the European Economic Area — contract performance, legal obligation, legitimate interests (improving and securing Services), and consent — grounding processing activities in recognized legal justifications.
AI-generated interpretation, not legal advice.
" 8.1 Access, Correction, and Deletion You may request access to, correction of, or deletion of your Personal Data by contacting founders@frekil.com . We will respond within the timeframe required by applicable law."
Grants users the right to request access to, correction of, or deletion of their Personal Data by contacting Frekil, and imposes an obligation on Frekil to respond within the timeframe required by applicable law.
AI-generated interpretation, not legal advice.
Clause detail — protections, your obligations, and coverage
Every clause below is a verbatim quote from Frekil's own published policy, read in full and linked to its exact location. Protections and user obligations are reported separately from risk because they are different kinds of clause — an obligation on you is not a risk to your data. Informational only, not legal advice.
✅ Protections found
0 verified clausesClauses in Frekil's policies that work in your favour — commitments the platform made to you.
No protective clause has been verified in Frekil's published policies yet. That means we did not find one in the documents we read — not that the platform offers nothing.
📋 Rules you must follow
0 verified clausesWhat Frekil requires of YOU. These are your obligations, not risks to your data or IP, so they are cited here and excluded from this platform's risk rating.
No user-conduct rule has been verified in Frekil's published policies yet.
What the policies actually cover
0 topicsNone of Frekil's verified clauses has been assigned a topic yet. The clause-trust review has not reached this platform's findings.
Clause intelligence
Canonical clauses and stance patterns extracted from the same gate-verified citations shown on this page.
The clause allows indefinite, perpetual, or necessity-based retention.
“We retain Personal Data for as long as necessary to fulfill the purposes outlined in this Privacy Policy, unless a longer retention period is required or permitted by law. When we no longer need your Personal Data, we will securely delete or anonymize it.”Open source citation
The clause appears to reserve or claim ownership rights for the platform.
“We reserve the right to update this Privacy Policy at any time. When we do, we will revise the “Last Updated” date at the top of this page and post a prominent notice. Where required by applicable law, we will provide direct notice. Your continued use of the Services following the posting of changes constitutes your acceptance of the revised Policy.”Open source citation
The clause permits sale of personal data or information.
“We do not sell your Personal Data. We may share it only in these limited circumstances: 7.1 Affiliates We may share Personal Data with our corporate affiliates, who are required to honor this Privacy Policy.”Open source citation
The clause permits sale of personal data or information.
“8.4 California Residents (CCPA/CPRA) California residents have the right to know what Personal Data we collect and how it is used, the right to delete their Personal Data, the right to opt out of the sale or sharing of Personal Data (we do not sell Personal Data), and the right to non-discrimination for exercising these rights. Contact founders@frekil.com to submit a request.”Open source citation
The clause permits disclosure or sharing with third parties, affiliates, vendors, or subprocessors.
“We do not sell your Personal Data. We may share it only in these limited circumstances: 7.1 Affiliates We may share Personal Data with our corporate affiliates, who are required to honor this Privacy Policy.”Open source citation
Tier matrix
Plan-level conditions detected from citation-backed clauses. Empty tiers mean AIRIN has not captured decisive tier language yet.
| Tier | Surface | Verdict | Risk | Citations |
|---|---|---|---|---|
| All applicable tiers | data retention | conditional | MEDIUM | 1 |
| All applicable tiers | privacy data use | worsens | HIGH | 2 |
| All applicable tiers | subprocessors data sharing | worsens | HIGH | 3 |
Policy evolution
Open full timelineBefore/after stance changes across captured policy versions. When no material delta exists yet, AIRIN shows the latest citation-backed stance events instead.
Latest stance: platform claims or reserves rights on privacy data use
“We reserve the right to update this Privacy Policy at any time. When we do, we will revise the “Last Updated” date at the top of this page and post a prominent notice. Where required by applicable law, we will provide direct notice. Your continued use of the Services following the posting of changes constitutes your acceptance of the revised Policy.”Open timeline citation
Latest stance: sale or sell on subprocessors data sharing
“We do not sell your Personal Data. We may share it only in these limited circumstances: 7.1 Affiliates We may share Personal Data with our corporate affiliates, who are required to honor this Privacy Policy.”Open timeline citation
Latest stance: third party or vendor sharing on subprocessors data sharing
“We do not sell your Personal Data. We may share it only in these limited circumstances: 7.1 Affiliates We may share Personal Data with our corporate affiliates, who are required to honor this Privacy Policy.”Open timeline citation
Latest stance: third party or vendor sharing on subprocessors data sharing
“7.5 With Your Consent We may share Personal Data with third parties when you have given us explicit consent to do so.”Open timeline citation
Latest stance: sale or sell on privacy data use
“8.4 California Residents (CCPA/CPRA) California residents have the right to know what Personal Data we collect and how it is used, the right to delete their Personal Data, the right to opt out of the sale or sharing of Personal Data (we do not sell Personal Data), and the right to non-discrimination for exercising these rights. Contact founders@frekil.com to submit a request.”Open timeline citation
Latest stance: indefinite or necessity based on data retention
“We retain Personal Data for as long as necessary to fulfill the purposes outlined in this Privacy Policy, unless a longer retention period is required or permitted by law. When we no longer need your Personal Data, we will securely delete or anonymize it.”Open timeline citation
Capture recency
- Privacy Policy:Last captured 2026-07-20· verified 2026-07-20verified once — not yet re-verified
Dates state when our pipeline captured and verified each document — not when the vendor last changed it. Documents are re-scanned on a recurring cadence; a document verified once says so until a re-scan confirms it again.
27 findings first captured First scan: July 2026.
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We haven't yet verified Frekil's Terms of Service. Point us at the official page and our pipeline will attempt to capture and read it in full. Submissions are candidates only — nothing is published until it passes the same verification gates as every other document on this site.
Every finding above is a verbatim quote from Frekil's own published policy, captured to an immutable snapshot and read in full through a two-gate verification pipeline. Confidence labels and any analysis are AI-generated and informational only — not legal advice.
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