Last updated October 1, 2026
Privacy Notice
Sign-in is limited to our testing group. When the waitlist opens, it stores the first name, email, role and main goal you enter so we can contact you about launch. No payments are collected from the public site.
1. Information the live service may collect
When the live service launches, information may include account and contact details; selected membership and billing status; fitness goals, experience, schedule, equipment and preferences; height, weight, body-composition entries and progress; workout and nutrition logs; messages; coach profile and availability information; and photos or videos you choose to upload.
We will identify required and optional fields at collection. Health-related entries, progress images and exercise videos should be treated as sensitive personal information.
2. How information may be used
Information may be used to create and secure accounts, personalize workouts and nutrition habits, connect clients and coaches, deliver coach form feedback, process memberships, support users, prevent misuse, improve reliability, and meet legal obligations.
Stridelyn should not use private photos, videos, messages or health-related entries to train general AI models without separate, explicit permission.
3. Service providers
Stridelyn may share only the information needed for a feature with carefully selected hosting, payment, email and storage providers. Final vendors and their roles will be listed before launch. Stridelyn should not sell personal information or share sensitive fitness information for targeted advertising.
4. Coaches and visibility
Coach profiles are intended to be visible to members when a coach chooses to list them. Client information should remain private unless the client connects with a coach or intentionally shares a check-in, message, log, image or video. Access must be limited by account role.
5. Retention, security and deletion
The live service should keep information only as long as needed for the service, safety, disputes and legal obligations. Planned protections include encryption, access controls, secure authentication and audit logging. No system can guarantee absolute security.
Users should be able to request access, correction, export or deletion of account information, subject to lawful exceptions. Specific retention periods and a verified request method must be added before launch.
6. California privacy rights
Depending on whether Stridelyn meets applicable legal thresholds, California residents may have rights to know, correct or delete personal information and to limit certain uses of sensitive information or opt out of sale or sharing. Stridelyn intends to honor applicable requests and will publish the required request channels before collecting live customer data.
7. Children
The final minimum age and any parental-consent process must be set before launch. The live service should not knowingly collect information from children contrary to applicable law.
8. Contact and changes
A working privacy contact, business identity, mailing address and request process will be inserted before this notice becomes effective. Material changes should be communicated before they take effect.
Have a qualified attorney review this draft after the final vendors, data flows, age policy, retention periods and business entity are confirmed.