Product Privacy Policy
This Policy explains how SMM accounts, orders, target social identifiers, service delivery, payments, provider processing, support, and fraud controls are handled.
Customers should provide only the public or target identifier needed for the ordered service—never a platform password.
The selected provider may receive the target URL or identifier, service, quantity, and status required to fulfill the order.
Customers remain responsible for the terms, permissions, and risks of the social platform involved.
1. Scope and relationship to other policies
This Privacy Policy applies to LEADER AD SMM accounts, service catalog, orders, payment and balance functions, service-provider routing, delivery status, tickets, anti-fraud systems, licensing or access controls, and support.
This Policy covers processing performed by or specifically through LEADER AD SMM. Website visits, Website accounts, checkout, product purchases, downloads, and communications made directly through LEADERAD.site remain subject to the LEADER AD Website Privacy Policy, unless this Policy expressly states otherwise.
2. Who is responsible and how to contact us
For processing under LEADER AD’s control and covered by this Policy, the responsible business is LEADER AD.
Privacy contact: [email protected]
Website: LEADERAD.site
Privacy Center: LEADERAD.site/privacy/
Where a customer uses the product to process information for its own website, business, personnel, learners, clients, visitors, or users, that customer may independently determine the purposes and means of that processing. In that context, the customer is responsible for its notices, instructions, permissions, and lawful basis, while LEADER AD acts only within the role required by the feature, agreement, and applicable law.
3. How SMM works
SMM lets a customer select a social-media-related service and submit the public URL, username, post, channel, page, or other target identifier required to route and track the order. LEADER AD may use vetted upstream or fulfillment providers to perform a selected service. The product should not request a social-media account password, recovery code, session cookie, or private API credential for an ordinary order.
4. Information processed
The information processed depends on the features used, configuration, product version, and the actions requested.
| Category | Examples | How it is handled |
|---|---|---|
| Account and contact | Name or display name, email, username, customer identifier, language, preferences, authentication and support history. | Used to administer and secure the SMM account. |
| Order target | Social platform, public profile or post URL, username, channel, page or other target identifier. | Shared with the selected provider only as needed to route and perform the order. |
| Order details | Service, quantity, amount, start count where applicable, status, timing, refill or cancellation state, provider order reference and error. | Used to fulfill, monitor, reconcile, and support the service. |
| Balance and payment | Deposit, balance, currency, amount, payment status, transaction reference, refund, chargeback and invoice information. | Processed with the selected payment provider and retained for financial and fraud purposes. |
| Security and fraud | IP address, browser/device, login and request history, unusual activity, rate limits, duplicated orders and risk indicators. | Used to protect accounts, payments, providers, and the service. |
| Provider and support | Provider route, fulfillment response, ticket, message, screenshot and evidence voluntarily submitted. | Used to deliver the order, resolve faults and disputes, and monitor quality. |
5. How information is obtained
Information may be obtained through the following sources:
- from the customer creating an account, funding a balance, placing an order, or requesting support;
- from the public target identifier and status information available for the ordered service;
- from payment providers, banks, fraud-prevention systems, and upstream fulfillment providers;
- automatically from security, login, order, API, and diagnostic logs.
We do not infer that optional information is present merely because the product can technically support a related feature.
6. Purposes and legal bases
Information may be processed only as reasonably related to the following purposes:
- create and secure accounts and customer balances;
- validate, route, fulfill, monitor, cancel, refill, or reconcile orders;
- communicate order status and provide support;
- process deposits, payments, refunds, invoices, disputes, and chargebacks;
- select providers, measure delivery quality, prevent duplicate or abusive orders, and investigate fraud;
- comply with law, platform-related obligations, sanctions or payment restrictions where applicable;
- protect LEADER AD, customers, providers, platforms, and third parties.
Where applicable law requires a legal basis, processing may rely on one or more of the following, depending on the activity:
- performance of a contract or steps requested before entering into a contract;
- LEADER AD’s legitimate interests in operating, securing, supporting, improving, and protecting the product, provided those interests are not overridden by applicable rights;
- compliance with legal, accounting, tax, security, or regulatory obligations;
- consent, where consent is required or selected by the user; and
- protection of users, systems, property, or legal rights where permitted by law.
The legal basis depends on the specific feature, context, jurisdiction, and information involved. Consent may be withdrawn for future processing without affecting processing already lawfully performed.
7. Information and access not intentionally required
The ordinary operation of this product is not intended to require unnecessary personal or sensitive information.
- SMM does not require the password, two-factor code, recovery code, session cookie, or private login token of the targeted social account for an ordinary service order;
- do not submit private messages, contact lists, government identifiers, health data, or unrelated sensitive information;
- full payment-card credentials should be entered directly into the payment provider’s interface;
- order data is not sold by LEADER AD for unrelated advertising profiles.
Do not submit passwords, secret keys, payment-card numbers, government identifiers, health data, or other sensitive information through ordinary support or description fields unless LEADER AD has specifically requested it through an appropriate secure process and it is genuinely necessary.
8. Fulfillment providers and social platforms
An upstream provider may receive the social platform, target URL or identifier, service, quantity, timing, and provider order reference required for fulfillment. LEADER AD seeks to limit the data routed to what the provider needs and may replace, suspend, or investigate providers for security, quality, or compliance reasons.
Social platforms independently process information and enforce their own terms. Use of an SMM service can involve platform risks, changes, restrictions, or removal outside LEADER AD’s control. This Policy does not promise a specific platform outcome or override another platform’s rules.
9. Customer responsibilities and prohibited use
The customer must have authority to submit the target and must not use SMM for impersonation, harassment, unlawful political manipulation, fraud, malware, credential theft, prohibited scraping, child exploitation, or violation of law or third-party rights. LEADER AD may refuse, suspend, cancel, preserve evidence, or report activity when reasonably necessary to protect people, systems, providers, platforms, or legal rights.
Sharing, service providers, and disclosures
LEADER AD does not sell personal information processed under this Policy. Information may be disclosed only as reasonably necessary for the relevant purpose, subject to suitable safeguards and applicable law.
- upstream fulfillment providers receiving only order information reasonably necessary for the selected service;
- payment, banking, invoicing, fraud-prevention, hosting, authentication, email, and support providers;
- the customer and authorized account users;
- social platforms or authorities where disclosure is lawful and necessary to investigate abuse, protect rights, or comply with a valid requirement.
Information may also be disclosed when reasonably necessary to comply with law or a valid legal process; protect users, systems, property, safety, or rights; investigate misuse or fraud; enforce applicable terms; or support a merger, financing, acquisition, reorganization, or sale of assets. Any business successor would remain subject to applicable privacy obligations for the information it receives.
International processing and transfers
Service providers, infrastructure, app stores, cloud platforms, or authorized recipients may operate in countries other than the user’s country. Where personal information is transferred internationally, LEADER AD will use the mechanism, authorization, contractual protection, or other safeguard required by the law applicable to that transfer.
A reference to an international provider does not by itself mean that every user’s information is transferred to every location in which that provider operates.
Retention
Information is retained only for as long as reasonably necessary for the purpose for which it was processed, including to provide the product, maintain security and transaction records, resolve disputes, enforce agreements, comply with legal or accounting requirements, and establish or defend legal claims.
- account and active order data remain while needed to operate the service and customer relationship;
- provider order references and service history may be kept for quality, refill, dispute, fraud, and reconciliation periods;
- payment, balance, refund, chargeback, invoice, and transaction records follow financial, tax, accounting, and legal duties;
- security and support records remain for a proportionate period based on risk and dispute needs.
Retention can vary because local information is controlled by the user or operating system, server logs rotate on different schedules, backup copies expire according to configured cycles, and legal duties may require certain records to be held longer. Information may be deleted, anonymized, aggregated, or isolated when it is no longer required.
Security
LEADER AD uses administrative, technical, and organizational measures selected according to the nature of the product and information involved. Measures may include access controls, separation of duties, authentication, encryption in transit where supported, secure coding and update practices, logging, monitoring, rate limits, integrity checks, and restricted administrative access.
No product, transmission, device, storage system, or security measure can be guaranteed to be completely secure. Users and customer administrators must protect accounts, devices, recovery material, API keys, hosting access, and other credentials under their control; apply updates; limit privileges; review activity; and report suspected compromise promptly.
User and administrator controls
Customers can control account information, target submission, support communications, and service choices through available functions.
- review order status and correct a target before fulfillment where the interface and service permit;
- avoid saving payment credentials outside the payment provider;
- secure the account and enable available authentication controls;
- close the account or request deletion, subject to balance, transaction, fraud, dispute, provider, and legal records;
- contact support promptly about a mistaken target, unauthorized order, or suspected compromise.
Removing a local app, disconnecting an integration, or deleting an account does not necessarily erase records that another controller, app store, payment provider, backup destination, or legal obligation independently requires that party to keep.
Privacy rights and requests
Depending on where you live and the law that applies, you may have rights to request access to personal information, obtain a copy, correct inaccurate or incomplete information, object to or restrict certain processing, request deletion where the legal conditions are met, withdraw consent for future processing, and receive certain information in a portable format.
These rights are not absolute. A request may be limited where information must be retained to complete a transaction, protect security, establish or defend legal claims, comply with law, preserve the rights of others, or where another lawful exception applies. We may ask for information reasonably necessary to verify the requester and prevent unauthorized disclosure.
Requests may be sent to [email protected] or through the LEADER AD contact page. We will respond through the appropriate channel and within the period required by applicable law.
Children
SMM is not intended for children or for the promotion of child accounts without appropriate authority and legal compliance. Payment, contracting, or marketplace functions may require an adult or legally capable representative.
If LEADER AD learns that information was collected from a child in circumstances requiring parental authorization and that authorization was not validly obtained, we may delete or restrict the information as required by law. A parent or guardian may contact [email protected].
Automated decisions
SMM may automatically validate an order, route it to a provider, apply rate limits, detect duplicates, update status, or flag risk. Fraud or compliance restrictions may be reviewed by an authorized person where appropriate. The service is not intended to make employment, credit, housing, insurance, or other high-impact decisions about individuals.
Security, fraud, spam, licensing, integrity, or quality systems may automatically flag, limit, queue, or block an event. Where required by law, a person may contact LEADER AD to request appropriate review of a decision producing legal or similarly significant effects.
Changes to this Policy and product evolution
LEADER AD may update this Policy to reflect product changes, new optional features, security improvements, provider changes, or legal requirements. The “Last Updated” date will identify the current published version. Where required, material changes will be communicated through an appropriate product, account, website, store-listing, or direct notice before they take effect.
A future feature is not treated as active processing solely because this Policy explains how it would be handled if offered. If a new feature materially changes data practices, LEADER AD will update the applicable notice and obtain consent where the law requires it.
Contact and interpretation
LEADER AD Privacy
Email: [email protected]
Contact form: https://leaderad.site/contact-us/
Privacy Center: https://leaderad.site/privacy/
This Policy is intended to describe actual product data practices in clear language. It does not waive rights that cannot lawfully be waived, create processing that does not otherwise occur, or require publication of private personal details that are not necessary for a valid public notice.
