VENDOR PRIVACY POLICY

Jublee India Technology

Effective Date: 26/12/2025
Last Updated: 26/12/2025

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1. INTRODUCTION

This Vendor Privacy Policy (“Policy”) describes how Jublee India Technology (“Jublee”, “Company”, “we”, “our”, or “us”) collects, processes, stores, uses, transfers, secures, and manages information relating to vendors, sellers, service providers, event partners, merchants, freelancers, venue providers, agencies, and other business entities (“Vendor”, “you”, or “your”) using the Jublee platform.

Jublee operates primarily as a technology-enabled event management marketplace and multi-vendor e-commerce ecosystem through its website(s), mobile application(s), APIs, dashboards, communication systems, operational infrastructure, and associated technologies.

This Policy applies to Vendors offering services or products including but not limited to:

  • Birthday event services
  • Decoration services
  • Photography & videography
  • Catering services
  • Cake services
  • Entertainment services
  • DJs and anchors
  • Venue booking services
  • Balloon decoration
  • Surprise planning
  • Rental services
  • Gift services
  • Event packages
  • Customized event solutions
  • Other event-related products and services

By accessing, registering, onboarding, listing services/products, or otherwise using the Platform, you acknowledge that you have read, understood, and agreed to this Policy.

2. SCOPE OF POLICY

This Policy applies to:

  • Individual vendors
  • Sole proprietors
  • Partnership firms
  • LLPs
  • Companies
  • Agencies
  • Freelancers
  • Event organizers
  • Product sellers
  • Service providers
  • Vendor representatives and employees
  • Third-party operational partners

This Policy governs information collected during:

  • Vendor registration
  • KYC verification
  • Service listing
  • Booking management
  • Payment processing
  • Customer communications
  • Marketing activities
  • Analytics operations
  • Compliance verification
  • Platform interactions

3. DEFINITIONS

3.1 “Applicable Law”

Means all applicable Indian laws, rules, regulations, notifications, governmental directions, and regulatory requirements.

3.2 “DPDP Act”

Means the Digital Personal Data Protection Act, 2023 and related amendments or rules.

3.3 “Personal Data”

Means any information capable of identifying an individual directly or indirectly.

3.4 “Processing”

Includes collection, storage, organization, recording, retrieval, usage, disclosure, transfer, analysis, deletion, or destruction of information.

3.5 “Platform”

Means Jublee’s websites, mobile applications, APIs, dashboards, systems, software, communication channels, and associated infrastructure.

4. VENDOR ELIGIBILITY

By registering as a Vendor, you represent and warrant that:

  • You are legally competent to enter binding contracts;
  • You possess all licenses, registrations, permits, and tax compliances required under applicable law;
  • All information submitted by you is accurate, lawful, and updated;
  • You are authorized to act on behalf of your business entity;
  • You shall comply with all Platform policies and applicable laws.

Jublee reserves the right to verify Vendor information and may reject, suspend, restrict, or terminate Vendor access at its sole discretion.

5. INFORMATION COLLECTED FROM VENDORS

Jublee may collect the following categories of information.

5.1 Personal Information

  • Full name
  • Date of birth
  • Photograph
  • Signature
  • Email address
  • Mobile number
  • Residential address
  • Identity verification details

5.2 Business Information

  • Business name
  • Trade name
  • Registered address
  • Operational areas
  • Service categories
  • Business licenses
  • Certifications
  • Vendor portfolio
  • Pricing information

5.3 Tax & Compliance Information

  • PAN details
  • GSTIN details
  • Tax certificates
  • TDS-related information
  • Compliance declarations

5.4 Banking & Financial Information

  • Bank account details
  • UPI details
  • Settlement preferences
  • Payment records
  • Invoice details

5.5 KYC & Verification Information

  • Identity proof
  • Address proof
  • Verification records
  • Selfie/video verification
  • Vendor verification status

5.6 Technical & Device Information

  • IP address
  • Browser type
  • Device identifiers
  • Operating system
  • Session logs
  • Usage diagnostics

5.7 Communication Information

  • Emails
  • Chat records
  • Support tickets
  • Customer communications
  • Call records where legally permitted

5.8 Location Information

  • GPS location
  • Operational location
  • Approximate location
  • Vendor service radius

5.9 Platform Analytics Information

  • Booking performance
  • Search visibility metrics
  • Clickstream data
  • Ratings and reviews
  • Engagement metrics
  • Conversion analytics

6. PURPOSE OF DATA COLLECTION

Jublee may process Vendor information for purposes including:

  • Vendor onboarding
  • Identity verification
  • Fraud prevention
  • Marketplace operations
  • Booking management
  • Payment processing
  • Customer support
  • Tax compliance
  • Platform analytics
  • AI-enabled recommendations
  • Search optimization
  • Operational improvements
  • Security monitoring
  • Legal compliance
  • Dispute resolution
  • Business continuity

7. VENDOR CONSENT FRAMEWORK

By registering on the Platform and voluntarily providing information through onboarding processes, Vendors acknowledge and consent to the collection, processing, storage, transfer, disclosure, and operational usage of information for lawful business, operational, security, compliance, fraud prevention, and marketplace administration purposes as described in this Policy and subject to applicable law.

Consent may be obtained through:

  • Checkbox acceptance
  • OTP verification
  • Digital confirmations
  • Click-wrap agreements
  • Electronic signatures
  • In-app acknowledgements

Withdrawal of consent may impact Platform functionality, onboarding eligibility, operational access, or continued participation on the Platform.

8. LEGAL BASIS FOR PROCESSING

Jublee may process Vendor information based on:

  • Vendor consent
  • Contractual necessity
  • Legal obligations
  • Legitimate business interests
  • Fraud prevention
  • Security monitoring
  • Regulatory compliance
  • Platform administration

9. DPDP COMPLIANCE & DATA PRINCIPAL RIGHTS

Jublee shall process digital personal data in accordance with lawful purposes recognized under applicable law, including the Digital Personal Data Protection Act, 2023.

Subject to applicable laws and operational requirements, eligible individuals may exercise rights including:

  • Access rights
  • Correction rights
  • Erasure rights where legally permissible
  • Consent withdrawal rights
  • Grievance redressal rights

Jublee may implement commercially reasonable verification procedures before processing such requests.

Requests may be denied, delayed, or restricted where:

  • legal retention obligations apply;
  • investigations are ongoing;
  • fraud prevention requirements exist;
  • cybersecurity concerns arise;
  • regulatory restrictions apply.

Jublee may endeavor to respond to applicable privacy and grievance requests within commercially reasonable timelines subject to verification requirements, operational constraints, cybersecurity considerations, fraud prevention requirements, and applicable legal obligations.

Certain rights requests may require additional identity verification measures, authentication procedures, documentation checks, or security validation processes prior to processing in order to prevent fraud, unauthorized access, impersonation, or misuse of privacy rights mechanisms.

10. ROLE OF JUBLEE IN DATA PROCESSING

Depending upon the operational context and nature of processing, Jublee may function as:

  • an independent data fiduciary;
  • an intermediary platform operator;
  • a technology service provider;
  • a processor acting on behalf of Vendors or customers.

Data processing responsibilities may vary depending on the relevant transaction or operational activity.

11. KYC & VERIFICATION COMPLIANCE

Jublee may conduct verification procedures including:

  • Identity verification
  • Address verification
  • Business verification
  • GST validation
  • PAN validation
  • Background checks
  • Fraud screening

Failure to complete verification may result in:

  • Listing restrictions;
  • Reduced visibility;
  • Payment holds;
  • Account suspension;
  • Permanent removal.

Jublee reserves the right to engage third-party verification agencies.

12. PAYMENT & BANKING INFORMATION HANDLING

Vendor financial information may be processed for:

  • Settlements
  • Refunds
  • Tax deductions
  • Fraud investigations
  • Reconciliation purposes

Jublee may use regulated third-party payment processors and banking partners.

Jublee shall not be liable for failures caused by:

  • Banking systems;
  • Payment gateways;
  • Telecom failures;
  • Cyberattacks;
  • Technical outages;
  • Incorrect Vendor information.

13. PAYMENT HOLD & RISK RESERVE FRAMEWORK

Jublee may implement rolling reserves, delayed settlements, temporary payout holds, refund reserves, or transaction restrictions where:

  • fraud is suspected;
  • chargebacks arise;
  • customer disputes exist;
  • unusual activity is detected;
  • legal or regulatory concerns arise.

Such measures may remain in effect for commercially reasonable periods determined by Jublee.

14. DATA STORAGE & SECURITY MEASURES

Jublee implements commercially reasonable administrative, operational, organizational, and technical safeguards designed to protect Vendor information.

Security measures may include:

  • Encryption systems
  • Firewalls
  • Access controls
  • Role-based permissions
  • Audit logging
  • Monitoring systems
  • Backup systems
  • Vulnerability assessments

No digital infrastructure or internet transmission method can guarantee absolute security.

Vendor acknowledges and accepts inherent cybersecurity and internet-related risks.

15. ENCRYPTION & CYBERSECURITY STANDARDS

Jublee may utilize industry-standard technologies including:

  • SSL/TLS encryption
  • Secure APIs
  • Authentication protocols
  • Password hashing
  • Tokenization systems

Jublee disclaims liability for unauthorized access resulting from:

  • Cyberattacks;
  • Malware;
  • Phishing;
  • Credential theft;
  • Zero-day vulnerabilities;
  • Vendor negligence;
  • Third-party failures;
  • Force majeure events.

16. VENDOR SECURITY RESPONSIBILITIES

Vendors shall maintain commercially reasonable cybersecurity practices including:

  • Secure password management;
  • Protection against unauthorized access;
  • Lawful software usage;
  • Updated systems and devices;
  • Malware prevention measures;
  • Restricted account sharing.

Vendor shall immediately notify Jublee regarding:

  • suspected account compromise;
  • cybersecurity incidents;
  • unauthorized access;
  • fraudulent activities.

Vendor remains primarily responsible for activities conducted through its account and credentials.

Jublee may recommend or require additional authentication measures, including multi-factor authentication, identity verification procedures, enhanced login protections, or security controls for certain Vendor accounts or operational activities.

17. ACCESS CONTROL & INTERNAL RESTRICTIONS

Vendor information shall be accessible only to authorized personnel, compliance teams, legal teams, operational teams, and authorized service providers on a need-to-know basis.

Jublee may maintain audit logs and internal monitoring systems for security and compliance purposes.

18. PRIVACY-BY-DESIGN PRINCIPLES

Jublee may implement privacy-by-design, security-by-design, and risk-based governance principles during development, deployment, and operation of Platform systems and infrastructure.

Such measures may include:

  • Access minimization
  • Authentication controls
  • Infrastructure monitoring
  • Vulnerability testing
  • Secure software development practices

19. VENDOR DASHBOARD DATA USAGE

Information submitted through Vendor dashboards may be used to:

  • Publish listings
  • Display profiles
  • Enable bookings
  • Generate analytics
  • Improve visibility
  • Monitor quality standards
  • Detect suspicious activity

Vendor is primarily responsible for ensuring uploaded content is lawful and accurate.

20. AI SYSTEMS, AUTOMATED PROCESSING & ALGORITHMIC OPERATIONS

Jublee may utilize:

  • AI-enabled systems;
  • Recommendation engines;
  • Fraud detection systems;
  • Predictive analytics;
  • Automated moderation systems;
  • Ranking algorithms.

Such systems may be used for:

  • Vendor ranking;
  • Search visibility;
  • Fraud detection;
  • Customer recommendations;
  • Operational optimization.

Vendor acknowledges that:

  • AI outputs may involve probabilistic analysis;
  • Automated systems may produce variable outcomes;
  • Rankings may dynamically change;
  • Recommendations may not always be fully explainable.

Vendor acknowledges that AI-driven systems may rely upon evolving datasets, automated analytical models, operational priorities, and probabilistic outputs that may occasionally produce inaccurate, incomplete, delayed, or variable results.

Vendor acknowledges that operational insights, analytics, recommendations, rankings, projections, visibility metrics, engagement statistics, predictive outputs, automated evaluations, or algorithmic outputs made available through the Platform are informational in nature and should not be solely relied upon for commercial, financial, legal, tax, operational, strategic, or investment decision-making.

Jublee does not warrant the completeness, accuracy, profitability, reliability, or suitability of such outputs for any specific commercial purpose.

Jublee reserves the right to manually review or override automated decisions.

Jublee does not guarantee visibility, bookings, or commercial outcomes from algorithmic systems.

21. COOKIES & TRACKING TECHNOLOGIES

Jublee may use:

  • Cookies
  • Pixels
  • SDKs
  • Tracking technologies
  • Session technologies
  • Analytics scripts

These technologies may be used for:

  • Authentication
  • Analytics
  • Security
  • Personalization
  • Fraud prevention
  • Marketing attribution

22. THIRD-PARTY SERVICES & INTEGRATIONS

Jublee may integrate with:

  • Payment gateways
  • Cloud hosting providers
  • Analytics providers
  • Communication providers
  • Logistics partners
  • Verification agencies
  • Customer support tools

Use of third-party services may be governed by separate policies and terms.

23. SUBPROCESSOR & SERVICE PROVIDER GOVERNANCE

Jublee may engage third-party subprocessors, infrastructure providers, analytics providers, cybersecurity partners, communication vendors, and operational support entities.

Where commercially reasonable, Jublee may require such third parties to maintain confidentiality obligations and security safeguards.

Jublee shall not be responsible for independent acts or failures occurring within third-party systems beyond reasonable operational control.

Jublee may commercially rely upon infrastructure, software, cloud, analytics, communication, payment, verification, and cybersecurity providers selected at its reasonable discretion.

24. CLOUD INFRASTRUCTURE & DATA LOCALIZATION

Vendor information may be processed on cloud infrastructure located within or outside India.

Jublee may maintain localized infrastructure, mirrored systems, backups, or operational environments within India where commercially or legally appropriate.

Certain analytics systems, cloud services, or integrations may involve international processing environments.

25. CROSS-BORDER DATA TRANSFERS

Vendor information may be transferred, processed, stored, mirrored, or backed up outside India where operationally or commercially necessary.

Jublee may implement reasonable contractual, organizational, technical, and operational safeguards for such transfers.

Vendor expressly consents to such international processing activities.

26. DATA SHARING PRACTICES

Jublee may share Vendor information with:

26.1 Customers

  • Vendor profile information
  • Service descriptions
  • Portfolio information
  • Ratings and reviews

26.2 Payment Partners

  • Transaction data
  • Settlement information
  • Refund information

26.3 Government Authorities

Where required under law, court orders, investigations, or regulatory directions.

26.4 Service Providers

  • Cloud providers
  • Analytics providers
  • Communication providers
  • Verification agencies
  • Operational vendors

27. VENDOR COMMUNICATION POLICIES

Jublee may communicate through:

  • Email
  • SMS
  • WhatsApp
  • Push notifications
  • Calls
  • In-app alerts

Communications may include:

  • Operational notices
  • Payment updates
  • Legal notices
  • Security alerts
  • Marketing communications

28. PROMOTIONAL & MARKETING CONSENT

Jublee may use Vendor branding, listings, publicly available business information, and service details for:

  • Platform promotion
  • Advertising
  • Social media marketing
  • Investor presentations
  • Promotional campaigns

Vendors may opt out of certain marketing communications subject to operational requirements.

29. VENDOR RIGHTS

Subject to applicable law, Vendors may request:

  • Access to information
  • Correction of inaccurate data
  • Updating of records
  • Withdrawal of certain consents
  • Deletion requests where legally permissible

Such requests may be subject to verification requirements and legal obligations.

30. DATA RETENTION & RECORD MANAGEMENT

Jublee may retain information for varying durations depending upon legal, operational, tax, fraud prevention, audit, cybersecurity, and compliance requirements.

Illustrative retention periods may include:

CategoryIndicative Retention
Tax & Financial RecordsUp to 8 years or longer
KYC RecordsAs legally required
Security LogsOperationally determined periods
Transaction RecordsAs legally required
Fraud Investigation DataUntil resolution

Retention periods may be extended where investigations, disputes, audits, or legal proceedings remain ongoing.

31. ACCOUNT SUSPENSION & POST-TERMINATION RETENTION

Upon suspension or termination:

  • Vendor access may be restricted;
  • Listings may be removed;
  • Settlements may be delayed;
  • Data may continue to be retained for compliance and legal purposes.

Clauses relating to indemnification, confidentiality, dispute resolution, limitation of liability, audit rights, fraud prevention, intellectual property, cybersecurity, payment obligations, data retention, operational restrictions, and record preservation shall survive suspension, termination, expiration, or discontinuation of Vendor participation on the Platform to the extent legally permissible.

32. FRAUD DETECTION & RISK MONITORING

Jublee actively monitors Platform activities for:

  • Fraud
  • Fake bookings
  • Payment abuse
  • Spam activity
  • Identity manipulation
  • Unauthorized access
  • Illegal activities

Jublee reserves the right to investigate activities, preserve evidence, restrict accounts, and report activities to authorities where necessary.

33. RE-KYC & CONTINUOUS MONITORING RIGHTS

Jublee reserves the right to conduct periodic re-verification, enhanced due diligence, re-KYC procedures, compliance reviews, and fraud assessments during Vendor participation on the Platform.

Failure to cooperate may result in restrictions, delayed settlements, suspension, or permanent termination.

34. INTELLECTUAL PROPERTY & UPLOADED CONTENT

Vendor retains ownership of legally owned uploaded content.

Vendor grants Jublee a worldwide, royalty-free, non-exclusive license to host, display, reproduce, publish, distribute, and promote uploaded content for marketplace operations and promotional activities.

Vendor warrants that uploaded content:

  • Is lawful;
  • Does not infringe third-party rights;
  • Is accurate;
  • Complies with applicable laws.

Vendor remains primarily responsible for uploaded content and related representations.

35. VENDOR EMPLOYEE & THIRD-PARTY DATA WARRANTY

Vendor represents and warrants that any employee, contractor, representative, or third-party information shared with Jublee has been lawfully collected and authorized for disclosure.

Vendor remains primarily responsible for obtaining required consents and permissions.

36. CONFIDENTIALITY OBLIGATIONS

Vendors shall maintain confidentiality regarding:

  • Customer information
  • Internal platform processes
  • Analytics
  • Pricing systems
  • Operational systems
  • Confidential communications

Unauthorized disclosure or misuse of Platform information is strictly prohibited.

37. SECURITY INCIDENT RESPONSE & CYBERSECURITY GOVERNANCE

Jublee may implement cybersecurity governance frameworks including:

  • Incident classification systems
  • Escalation procedures
  • Forensic investigations
  • Containment protocols
  • Remediation measures
  • Disaster recovery systems
  • Operational continuity planning

Where legally required, Jublee may notify affected parties or authorities regarding certain incidents.

No system can guarantee absolute security or uninterrupted availability.

Jublee may take commercially reasonable actions to mitigate, contain, investigate, remediate, and recover from cybersecurity incidents.

38. PLATFORM AUDIT & COMPLIANCE REVIEW RIGHTS

Jublee reserves the right to conduct operational, compliance, fraud prevention, cybersecurity, documentation, legal, tax, and quality assurance reviews relating to Vendor participation.

Vendor agrees to cooperate with reasonable compliance-related requests.

39. LIMITATION OF LIABILITY

To the maximum extent permitted under applicable law:

  • Jublee acts primarily as a technology intermediary and marketplace facilitator;
  • Jublee does not guarantee bookings, revenue, visibility, or uninterrupted services;
  • Jublee shall not be liable for indirect, consequential, reputational, or commercial losses;
  • Jublee shall not be liable for acts or omissions of customers, vendors, payment providers, telecom providers, cloud providers, or third parties.

Vendor acknowledges that Jublee does not independently manufacture, store, inspect, certify, supervise, endorse, warrant, guarantee, control, or assume responsibility for Vendor products, Vendor services, Vendor conduct, Vendor representations, or Vendor operational activities unless expressly stated otherwise in writing.

Jublee does not guarantee continuous, uninterrupted, error-free, timely, fully secure, or completely reliable operation of the Platform, associated systems, communication channels, APIs, integrations, cloud infrastructure, payment systems, analytics systems, operational tools, or related digital services.

Temporary interruptions, delays, outages, maintenance events, cybersecurity incidents, infrastructure failures, or technical limitations may occur from time to time.

Nothing contained in this Policy shall exclude liability that cannot be lawfully excluded under applicable law.

40. NO PARTNERSHIP, AGENCY OR EMPLOYMENT RELATIONSHIP

Nothing contained in this Policy, Vendor onboarding, Vendor participation on the Platform, operational interactions, commercial activities, communications, transactions, or marketplace usage shall create any:

  • Partnership
  • Joint venture
  • Agency relationship
  • Franchise arrangement
  • Fiduciary relationship
  • Employment relationship
  • Contractor-employer relationship
  • Exclusive commercial arrangement

between Jublee and any Vendor.

Vendors operate as independent business entities and remain primarily responsible for their own operations, personnel, taxes, licenses, products, services, regulatory compliance, and commercial activities.

41. INDEMNIFICATION

Vendor agrees to indemnify and hold harmless Jublee, its affiliates, directors, employees, agents, and service providers from claims, liabilities, losses, penalties, damages, costs, or proceedings arising from:

  • Vendor misconduct
  • Violation of laws
  • Fraud
  • Data misuse
  • Intellectual property infringement
  • Customer disputes
  • Breach of this Policy

42. COMPLIANCE WITH INDIAN LAWS

Vendors shall comply with all applicable Indian laws including:

  • Digital Personal Data Protection Act, 2023
  • Information Technology Act, 2000
  • Consumer Protection Act, 2019
  • Consumer Protection (E-Commerce) Rules
  • GST laws
  • Income Tax laws
  • Intellectual property laws

43. CHILDREN & MINOR RESTRICTIONS

The Platform is not intended for use by minors acting as Vendors.

Persons below 18 years of age may not independently register as Vendors without lawful authorization.

44. PLATFORM MONITORING RIGHTS

Jublee reserves the right to monitor, review, record, and analyze Vendor activities for:

  • Fraud prevention
  • Compliance verification
  • Cybersecurity
  • Operational management
  • Dispute resolution

Monitoring may be automated or manual.

45. GOVERNMENT REQUESTS & LEGAL DISCLOSURE

Jublee may disclose Vendor information where required for:

  • Legal compliance
  • Court orders
  • Investigations
  • Law enforcement requests
  • Governmental directives
  • Regulatory obligations

46. FORCE MAJEURE & CYBERATTACK DISCLAIMER

Jublee shall not be liable for interruptions, failures, delays, losses, or damages arising from:

  • Cyberattacks
  • Ransomware
  • Internet outages
  • Telecom failures
  • Natural disasters
  • Governmental restrictions
  • War
  • Civil disturbances
  • Infrastructure failures
  • Force majeure events

47. SEVERABILITY

If any provision of this Policy is determined to be unlawful, invalid, unenforceable, or contrary to applicable law by any court, tribunal, regulatory authority, or competent jurisdiction, such provision shall be interpreted to the maximum extent permissible under applicable law, and the remaining provisions of this Policy shall remain valid, enforceable, binding, and in full force and effect.

48. WAIVER

Failure, delay, or omission by Jublee to enforce any provision, right, remedy, protection, restriction, or requirement under this Policy shall not constitute a waiver of such provision or any other legal or contractual rights available to Jublee under applicable law.

Any waiver shall be effective only if expressly made in writing by an authorized representative of Jublee.

49. RESERVATION OF RIGHTS

All rights, protections, remedies, powers, discretions, privileges, operational controls, intellectual property rights, platform rights, and legal interests not expressly granted under this Policy are reserved by Jublee to the fullest extent permissible under applicable law.

50. MODIFICATION OF POLICY

Jublee reserves the right to modify, amend, update, or replace this Policy at any time.

Updated versions may be published on the Platform.

Continued use of the Platform after updates constitutes acceptance of revised terms.

51. GOVERNING LAW & JURISDICTION

This Policy shall be governed by and construed in accordance with the laws of India.

Subject to dispute resolution provisions, courts having jurisdiction at New Delhi, India shall have exclusive jurisdiction.

52. DISPUTE RESOLUTION

Disputes arising from this Policy shall first be attempted to be resolved through good-faith negotiations.

If unresolved, disputes shall be referred to arbitration under the Arbitration and Conciliation Act, 1996.

  • Seat of Arbitration: New Delhi, India
  • Language: English
  • Number of Arbitrators: One

Electronic records, logs, metadata, audit trails, transaction histories, and digitally stored communications shall be admissible as evidence to the fullest extent permitted under applicable law.

Parties agree that arbitration proceedings, records, evidence, submissions, communications, and awards shall remain confidential except where disclosure is required under applicable law, regulatory obligations, court directions, or enforcement requirements.

53. GRIEVANCE OFFICER DETAILS

In accordance with applicable laws, privacy-related grievances may be addressed to:

Grievance Officer
Jublee India Technology

Email: jubleeofficials@gmail.com
Contact Number: __________
Office Address: __________

Jublee may endeavor to acknowledge applicable grievances, complaints, or privacy-related requests within commercially reasonable timelines subject to operational requirements, verification procedures, cybersecurity considerations, legal obligations, and applicable regulatory constraints.


54. CONTACT INFORMATION

For privacy-related concerns, Vendors may contact:

Jublee India Technology

Email: jubleeofficials@gmail.com
Website: +918084897117
Registered Address: C-462, I.K.V CAMP, OKHLA PHASE-1,NEW DELHI 110020


55. ENTIRE UNDERSTANDING

This Policy forms part of the broader contractual, commercial, technological, and operational framework governing Vendor participation on the Platform and shall be read together with applicable Vendor Agreements, Terms of Service, marketplace policies, operational guidelines, payment terms, platform rules, community standards, and applicable laws.

In the event of any conflict between this Policy and mandatory provisions of applicable law, such applicable law shall prevail to the extent required.


56. ACCEPTANCE OF POLICY

By accessing, registering with, onboarding onto, or using the Jublee Platform as a Vendor, you expressly acknowledge and agree that:

  • You have read and understood this Policy;
  • You consent to the collection and processing of information as described herein;
  • You agree to comply with applicable laws and Platform requirements;
  • You understand the inherent risks associated with internet-based services and digital systems;
  • You voluntarily accept the terms of this Policy.

Electronic acceptance, click-wrap acceptance, digital acknowledgements, OTP verification, electronic confirmations, electronic records, in-app consents, API-based confirmations, and digital communications shall constitute valid, binding, and enforceable consent and agreement mechanisms to the fullest extent permissible under applicable law.

Vendor acknowledges that electronically maintained records may be relied upon for evidentiary, contractual, compliance, operational, audit, dispute resolution, and legal enforcement purposes.

If you do not agree with this Policy, you must discontinue use of the Platform immediately.

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