CLOCOT CHILDREN & AGE POLICY
Effective Date: October 2, 2026 Last Updated: October 2, 2026
Clocot is a business and productivity platform and is not directed to children.
1. DEFAULT AGE REQUIREMENT
Unless LexLupi expressly authorizes another arrangement in writing, a person must be at least 18 years old or the age of legal majority in the person's jurisdiction, whichever is higher, to create and control an individual Clocot Account.
2. NO CHILD-DIRECTED SERVICE
Clocot is not designed, marketed, or intended as an online service directed to children. The ordinary Clocot registration flow is intended for adults.
3. CHILDREN UNDER 13
Clocot does not knowingly permit children under 13 to create ordinary Accounts. Where COPPA applies, LexLupi does not intentionally operate the ordinary Clocot service as a child-directed service.
4. TEENS AND LOCAL AGE RULES
Some jurisdictions provide additional protections for teenagers or require parental authorization for certain processing. Clocot's default 18+ rule is intended to avoid relying on lower local digital-consent thresholds for ordinary accounts.
5. ORGANIZATION DATA ABOUT MINORS
A business customer may process information relating to minors only where the processing is lawful, required notices are provided, required parental, guardian, institutional, or other authorization is obtained, sensitive information is minimized, and appropriate safeguards are implemented.
6. SCHOOLS AND EDUCATIONAL USE
Clocot is not offered as a child-directed educational service under the standard Terms. A school, district, university, or educational program seeking to use Clocot with minors should obtain a separate written agreement before doing so.
7. PROHIBITED CHILD-RELATED USES
Customers must not use Clocot to unlawfully profile minors, target them with prohibited advertising, exploit vulnerabilities, conduct unlawful biometric or location monitoring, or make prohibited high-impact decisions about them.
8. COMMUNICATIONS WITH MINORS
Customers are responsible for legal requirements concerning communications with minors, including parental authorization, marketing restrictions, messaging rules, and recording consent where applicable.
9. SENSITIVE CHILD DATA
Customers should avoid submitting sensitive information about minors unless processing is necessary, legally permitted, and subject to appropriate safeguards.
10. UNDERAGE ACCOUNTS
If LexLupi reasonably determines that an ordinary Account is controlled by a person who does not meet the age requirement, LexLupi may suspend the Account, request age verification, require transfer to an authorized adult or Organization where lawful, or delete the Account subject to legal retention requirements.
11. PARENT OR GUARDIAN REQUESTS
A parent or guardian who believes Clocot holds personal information collected unlawfully from a child may contact office@clocot.com. We may request reasonable information to verify the request and relationship.
12. DELETION
Where applicable law requires deletion of improperly collected child data, LexLupi will take reasonable steps to delete the information, subject to legally permitted retention.
13. THIRD-PARTY SERVICES
Third-party integrations may have their own minimum-age rules. Customers are responsible for complying with those rules when connecting or using the third-party service.
14. CHANGES
We may update this Policy as child-privacy laws and product features evolve. Additional notices or consent mechanisms will be introduced if Clocot ever offers a service intentionally directed to minors.
15. CONTACT
Questions concerning age eligibility or children's privacy may be sent to office@clocot.com.
LexLupi LLC Privacy and Legal Contact: Tatjana Sindjelic