Privacy notice
Effective date: 2026-09-30
Famplified LLC operates WWJD Works. This notice explains how information is handled when you visit our website, use an account, or submit information through an organization’s workspace. Contact: info@email.famplified.com.
Famplified LLC · Oklahoma, United States10125 Beaupre Dr, Arcadia, OK 73007, United States
info@email.famplified.com
1. Who is responsible
Famplified LLC determines how account administration, billing relationships, support, and service security information are used. For ministry records, the organization operating the workspace normally determines the purposes and authorized users; Famplified LLC processes those records to provide the service on its instructions. An organization may represent multiple churches or ministries. Its administrators are responsible for explaining their own activities and providing a contact for privacy requests. Contact us if you need help identifying the responsible organization.
2. Information and sources
We receive account identifiers and verified email information from our sign-in provider; workspace names, memberships, permissions, and settings from users and administrators; and requests, contact details, notes, files, votes, and acknowledgments entered by authorized users or submitted through public forms. Payment providers supply subscription status and transaction references; WWJD Works does not receive full payment-card details. Support messages come directly from you. Service infrastructure may record connection information, IP addresses, timestamps, error events, and security logs. Prayer and care records may reveal religious beliefs, health information, or other sensitive information. Please submit only what is needed and do not include another person’s sensitive details without appropriate authority.
3. Purposes and legal bases
We use information to deliver requested features, manage accounts and subscriptions, communicate about the service, respond to support requests, prevent abuse, and meet legal obligations. Where GDPR applies to our activities as controller, we rely on contract necessity for requested services, legitimate interests in securing and administering the service after considering your rights, and legal obligations for required records. Optional activities that require consent depend on a separate, freely given choice. Organizations must establish their own lawful basis for ministry records and an additional valid condition for special-category data, such as religious or health information. Accepting our terms alone does not authorize sensitive-data processing. We do not use ministry records for advertising or AI model training, sell personal information, or make decisions with legal or similarly significant effects solely by automated processing.
5. Cookies and browser storage
The application uses session storage for sign-in tokens, security checks, and invitation continuity, and saves a language preference when you choose one. The current release does not load advertising or analytics trackers. Authentication and payment services may use their own necessary cookies under their notices. Privacy choices, available at the top of every page, explain storage and let you remove the saved language preference. Essential storage cannot be disabled within the service because it is needed for requested functions; browser controls can block or clear it, which may interrupt sign-in. Optional tracking, if introduced, will remain inactive until any legally required prior consent is obtained. Rejecting or withdrawing optional consent will not prevent access to core services.
6. Retention, security, and international transfers
Records are retained while needed to provide the service and meet the organization’s instructions, then handled under an agreed deletion process. Account, billing, security, and consent evidence may be retained as necessary for legal obligations, security, or claims. Retention depends on the record’s purpose, sensitivity, contractual instructions, legal requirements, and backup cycles. Archiving a record or canceling billing does not erase it. Contact us to arrange return or deletion, including files and backups; the Data policy explains limitations. Access controls and encrypted infrastructure reduce risk but cannot guarantee absolute security. Hosting and providers may involve processing in the United States or other countries. EU-only residency is not promised. Where required, an appropriate transfer mechanism and assessment must be in place before restricted international transfers; contact us for applicable arrangements and safeguards.
7. Your rights and requests
Depending on applicable law, you may request access, correction, deletion, restriction, portability, information about sharing, or object to processing, and withdraw consent. Email info@email.famplified.com with the relevant organization and request; do not send sensitive ministry details unnecessarily. We may verify identity proportionately and route requests about organization-controlled records to that organization. Under GDPR, requests generally receive a response within one month; a permitted extension of up to two further months requires notice and reasons within the first month. Requests are ordinarily free, subject to lawful exceptions. You may complain to your local supervisory authority and seek a judicial remedy. Other applicable rights, including under UK data protection law or Brazil’s LGPD, remain available. Contacting us first is not a prerequisite to a complaint.
8. Children and notice updates
Account registration and public prayer submission are intended for adults aged 18 or older. Organizations handling information about children must apply appropriate notices, permissions, safeguarding, and access restrictions. Do not submit a child’s sensitive information through a public prayer form. Contact us about information collected inappropriately. Material changes to this notice will be communicated through the service or account contact as appropriate, with an updated effective date. Where a new purpose requires consent, we will seek it separately; continued use is not a substitute for required consent.