Website visitors / Draft for review
Website privacy
The current website, request previews and analytics. Separate from any future study consent.
This website and its visitors.
This draft describes the LifeFrom Data website. The legal entity, registered address and final processing inventory are still awaiting confirmation. It is not an effective replacement for existing LifeFrom privacy commitments.
Using this site does not enroll you in research or authorize the licensing of your health records. Existing consumer app records are not automatically included in a future data programme.
What the current site does.
Request previews
The request form currently creates a preview in your browser. It has no submission endpoint. Copy and download controls act only when you select them. Do not enter patient records or sensitive information.
Direct contact
If you email LifeFrom, the message and contact information you send are available for responding to your enquiry. Email processing, retention and provider details must be confirmed in the final notice.
Technical information
Hosting and analytics services may process technical information about website access. The exact fields, retention, locations and recipients need to be verified before the final notice is published.
Website integrations.
The shared website layout loads an Eyepup analytics script. Google Analytics is configured to load when its site identifier is enabled. These integrations are separate from the request form. This draft does not assert that the page is tracker-free or that a consent mechanism has been verified.
Before public launch, complete the analytics inventory, establish applicable consent and opt-out controls, and document the actual processing and transfer arrangements.
Provider review statusQuestions about your information.
For privacy questions or a request concerning information you have supplied, contact julian@lifefrom.ai. Identify the interaction involved without attaching health records. Applicable rights and verification requirements depend on the processing and jurisdiction.
The final notice must name the responsible entity and specify lawful bases, retention, recipients, international transfers and the available rights and complaint channels.