# Privacy Policy · Đọc Sớ

Source: https://docsoviet.com/en/privacy/
Language: en
Status: Draft — not in effect.
Support: xinchao@docsoviet.com

TRANSPARENCY & RESPECT

# Privacy Policy

Updated 20 September 2026 · Not yet in effect

Updated draft — pending confirmation before taking effect.The publisher, address, effective date, voice service providers and data retention periods have not been confirmed. The commitments below are proposed terms for Đọc Sớ, not a verification of current app operations.

## 1. Responsible entity

Support email: [xinchao@docsoviet.com](mailto:xinchao@docsoviet.com). The legal name, address and data protection contact are pending confirmation. This policy will not take effect until those details and actual processing practices are verified and fully disclosed.

## 2. Data and purposes

The proposed scope includes details entered into prayers, saved content, reminders and support requests. Account, device or diagnostic data may be processed only where the released version has the relevant function and provides a specific notice. No function should demand unnecessary data. On-device or server storage must be disclosed for each category before release.

## 3. Voice, text and audio

Available reading voices, text submitted for speech synthesis and generated audio may only be used to create, read or play prayers requested by the user. If a released version supports voice input, recordings and transcripts may only be processed to enter details or prepare the requested prayer. These data must not be used for advertising, data trading, behavioural profiling, biometric identification, AI model training or other purposes. Any legally required disclosure or retention is limited to the mandatory scope and disclosed when legally permitted.

## 4. Consent and permissions

Đọc Sớ may process only the data necessary for disclosed purposes. If recording is supported, the app must explain the data, purpose, processors and controls before collection; recording may start only after a user action and the necessary permission, without unrelated background recording. You may decline voice features, revoke microphone permission and request withdrawal of consent as provided by law. Declining must not block functions that do not require those data. See the Privacy Policy for data rights.

## 5. Providers and data transfers

If speech generation uses third-party servers, the provider, data sent, purpose, processing country and retention period must be disclosed before the user chooses the function. Providers may process data only within lawful agreed instructions and must not independently use voice data for other purposes. Any cross-border transfer must meet applicable legal obligations. Actual providers remain unconfirmed.

## 6. Retention and security

Each data category must have a defined retention period and deletion process appropriate to its purpose. Voice recordings must not be kept longer than necessary for the request, except for a lawful user choice to save them or a legal duty; legally retained data may only be used for that duty. Recording, text, generated audio, log and backup retention periods and actual security measures must be confirmed before official publication.

## 7. Your rights

Subject to applicable legal conditions, you may request information, access, correction, provision, deletion, restriction or objection to processing and withdraw consent. You may complain, bring proceedings and seek compensation where legally justified. Withdrawal does not affect the lawfulness of earlier processing. Legal exceptions to deletion must be explained with their basis and scope. Passwords and OTPs must not be requested to submit a request. Contact support at [xinchao@docsoviet.com](mailto:xinchao@docsoviet.com). Specific response timelines remain unconfirmed.

## 8. Advertising, children and updates

Advertising, analytics and tracking SDKs and the supported age range remain unconfirmed. Prayer content and voice data must not be used for advertising targeting. Any processing of children’s data requires legally appropriate safeguards and consent mechanisms. This policy must reflect actual app practices. A change in processing purpose requires notice and an appropriate lawful basis, not an assumption based on continued use.

## Legal references

[Personal Data Protection Law 91/2025/QH15](https://chinhphu.vn/?classid=1&docid=214590&pageid=27160&typegroupid=3)

[Law on Protection of Consumers’ Rights 19/2023/QH15](https://vanban.chinhphu.vn/?docid=208363&pageid=27160)

[Contact support →](https://docsoviet.com/en/support/)
