FunTalker- Privacy Policy
Your Privacy
Matters to Us
FunTalker: Video Chat Random (“FunTalker,” “we,” “our,” or “us”) is operated by strangerchat.partner. This Privacy Policy explains what information we collect when you use our app, how we use it, and your rights regarding your data.
By using FunTalker, you agree to the practices described in this policy. If you do not agree, please do not use the app.
Who We Are
- App: FunTalker: Video Chat Random
- Publisher: strangerchat.partner
- Contact: strangerchat.partner@gmail.com
- Platform: Android
- Age Requirement: 18+ strictly enforced
- Login Type: Anonymous guest session only — no Google account, no email required
Information We Collect
- Username / Nickname — chosen by you, changeable anytime. Not your real name.
- Date of Birth — used for 18+ age verification only.
- Gender — Male or Female, selected at onboarding.
- User ID — a unique 10-digit number automatically generated. Not editable.
- Profile Photo — optional. Uploaded manually by you only.
- Chat messages and any media shared in conversations
- Video call session history (timestamps and duration)
- Gender filter preference (Both / Male)
- Content preferences (blur sensitive content setting)
- Blocklist (users you have blocked)
- App language preference
- VIP subscription purchase tokens (for Google Play billing management)
- Device information (model, OS version) for technical support and fraud prevention
- App usage analytics and session data
- App version and technical logs
- Real name (only your chosen nickname)
- Email address — no email is ever required or stored
- Government-issued ID or official identity documents
- Biometric data (fingerprints, facial recognition data, voiceprints)
- Precise GPS or real-time location data — country-level only, derived from IP address
- Contacts or address book
- Payment card details — all payments handled by Google Play
How We Use Your Information & GDPR Legal Basis Updated
We use your information for the following purposes. For users in the European Economic Area (EEA) and UK, we identify the legal basis under GDPR Article 6 for each processing activity.
| Purpose | GDPR Legal Basis |
|---|---|
| Create and manage your anonymous user session | Art. 6(1)(b) — Contract |
| Connect you with other users through random video chat | Art. 6(1)(b) — Contract |
| Enable text messaging between connected users | Art. 6(1)(b) — Contract |
| Enforce 18+ age requirement at registration | Art. 6(1)(c) — Legal Obligation |
| Apply your content preferences (blur sensitive content) | Art. 6(1)(b) — Contract |
| Manage VIP subscription via Google Play Billing | Art. 6(1)(b) — Contract |
| Detect and prevent fraud, abuse, and policy violations | Art. 6(1)(f) — Legitimate Interests |
| Review user reports and enforce Community Guidelines | Art. 6(1)(f) — Legitimate Interests |
| Improve app performance and user experience | Art. 6(1)(f) — Legitimate Interests |
| Serve in-app advertisements (non-VIP users via CAS.ai) | Art. 6(1)(a) — Consent |
| Comply with applicable laws and legal obligations | Art. 6(1)(c) — Legal Obligation |
| Cooperate with law enforcement and safety investigations | Art. 6(1)(c) — Legal Obligation |
Content Moderation
This detection runs on-device. No live video frames are permanently stored on our servers.
Third-Party Services
FunTalker uses the following third-party services to operate the app. Each service has its own privacy policy.
- Firebase Authentication (Google) — anonymous session management
- Firebase Realtime Database (Google) — user data, messages, call history, preferences
- Firebase Storage (Google) — profile photo storage
- Firebase Cloud Messaging (Google) — push notifications
- WebRTC — peer-to-peer video call streaming
- Google Play Billing (Google) — VIP subscription payment processing
- Google ML Kit (Google) — on-device sensitive content detection in video calls
CAS.ai and its ad network partners may independently collect the following data from non-VIP users:
- Mobile advertising identifiers (GAID/IDFA)
- Device identifiers and technical specifications
- IP address and approximate location
- App usage and interaction data for ad targeting
- Cookies and tracking technologies
CAS.ai Privacy Policy: cas.ai/privacy-policy
Data Sharing & Disclosure
We do not sell your personal information to third parties. We may share your data only in the following circumstances:
- Service Providers: Firebase and other infrastructure providers listed in Section 5, solely to operate the app
- Ad Partners: CAS.ai and connected ad networks, for non-VIP users only, as described in Section 5
- Legal Requirements: If required by law, court order, or to protect the rights and safety of users or the public
- Child Safety: Reports involving child safety may be escalated to law enforcement agencies. We cooperate fully with official investigations.
Data Retention & Deletion
We may retain certain data for a limited period where required by law (e.g., billing records) or for legitimate safety purposes (e.g., ban records to prevent re-registration).
Children’s Privacy & COPPA 2026 Updated
In compliance with the Children’s Online Privacy Protection Act (COPPA), as expanded effective April 22, 2026, we disclose the following:
- Biometric Data: We do not collect, store, or process any biometric data including fingerprints, facial recognition data, or voiceprints from any user.
- Geolocation Data: We do not collect precise GPS or real-time location data. Country-level location (derived from IP address) may be used for general service delivery only. This data is not used for tracking or profiling.
- Advertising Identifiers (GAID): Google Advertising ID (GAID) is accessed by CAS.ai for ad serving purposes for non-VIP users only. VIP subscribers are fully exempt from GAID collection. We do not use GAID for any other purpose.
- No Minor Data Collection: We do not knowingly collect, maintain, or use personal information from users under 18. Any account found to belong to a minor is immediately terminated and all associated data deleted.
- No Behavioral Profiling of Minors: We do not build behavioral profiles of any user, and no profiling of any kind is applied to or targeting minors.
- Data Minimization: We are committed to collecting only the minimum data necessary to operate the service, consistent with COPPA 2026 data minimization requirements.
Play Age Signals API New 2026
- When you access FunTalker through Google Play, the Play Age Signals API may pass age-appropriateness signals to our app to help enforce our 18+ content rating.
- These signals indicate whether your Google account is associated with an adult (18+) profile in Play’s family management system.
- We do not store these age signals. They are used only at the time of access for real-time verification purposes.
- Age signals are processed by Google according to Google’s Privacy Policy. We receive only a pass/fail indicator, not the underlying account data.
- This system supplements, but does not replace, our own date-of-birth verification at registration.
The Play Age Signals API is part of Google’s broader effort to protect young users on Android. Learn more at Google Play Developer Help.
Your Rights (GDPR & Global)
- Right of Access — request a copy of the data we hold about you
- Right to Rectification — correct inaccurate or incomplete data
- Right to Erasure — request deletion of your data (fulfilled by in-app account deletion)
- Right to Restriction — request that we limit how we process your data
- Right to Data Portability — receive your data in a portable format
- Right to Object — object to certain processing activities
- Right to Opt-Out of Advertising — VIP subscription removes all ads and associated CAS.ai data collection
- Right to Lodge a Complaint — EU/EEA users may lodge a complaint with their local data protection supervisory authority
To exercise any of these rights, contact us at strangerchat.partner@gmail.com. We will respond within 30 days.
US State Privacy Rights New 2026
If you are a resident of California, Virginia, Colorado, Utah, or Louisiana, you have additional privacy rights under applicable state law.
- Right to Know: You may request disclosure of the categories and specific pieces of personal information we have collected about you.
- Right to Delete: You may request deletion of personal information we have collected from you, subject to certain exceptions.
- Right to Correct: You may request correction of inaccurate personal information.
- Right to Opt-Out of Sale/Sharing: We do not sell personal information. We do not share personal information for cross-context behavioral advertising, except through CAS.ai for non-VIP users. VIP users may opt out by subscribing.
- Right to Limit Use of Sensitive Personal Information: We do not collect sensitive personal information as defined under CPRA beyond what is necessary to provide our service.
- Non-Discrimination: We will not discriminate against you for exercising any of your CCPA rights.
- Virginia residents have the right to access, correct, delete, and obtain a copy of personal data, and to opt out of targeted advertising and the sale of personal data.
- We do not sell personal data. To opt out of targeted advertising served via CAS.ai, purchase a VIP subscription.
- Colorado residents have the right to opt out of the processing of personal data for targeted advertising, the sale of personal data, and profiling. You also have rights to access, correction, deletion, and data portability.
- Utah residents have the right to access, delete, and obtain a copy of personal data, and to opt out of the sale of personal data and targeted advertising.
- See also Section 12 below for Utah Minor Protection Act compliance.
To submit a privacy rights request under any state law, contact us at strangerchat.partner@gmail.com. We will respond within 45 days (extendable by an additional 45 days where necessary).
Utah Minor Protection Act (MOPA) Eff. May 7, 2026
- Age Verification: FunTalker enforces a strict 18+ age gate at registration. Users are required to confirm their date of birth, and we additionally utilize Google Play’s Age Signals API (see Section 9) to prevent minor access.
- No Minor Accounts: We do not knowingly permit users under 18 to create or maintain accounts. Any account identified as belonging to a minor is immediately terminated.
- No Data Collection from Minors: We do not knowingly collect, process, retain, or share personal data of users under 18 years of age.
- No Targeted Advertising to Minors: We do not serve targeted advertising to any user identified as a minor, and our platform is not directed at minors.
- Parental Notification: Because FunTalker does not permit minor accounts, parental consent processes are not applicable. Parents who believe their child has accessed FunTalker should contact us immediately.
To report a suspected minor account or request account deletion, contact: strangerchat.partner@gmail.com
Louisiana Age Verification Act Eff. Jul 1, 2026
- Age Verification Required: FunTalker requires all users to verify that they are 18 years of age or older before accessing the platform, in compliance with Louisiana law.
- Verification Method: Age is verified at registration through date-of-birth entry and is supplemented by Google Play’s Age Signals API (see Section 9), which checks account-level age signals provided by Google.
- No Minor Access: Users who do not meet the 18+ age requirement are denied access to FunTalker. This hard block applies at registration and is enforced for all users regardless of state of residence.
- Retained Verification Data: Date-of-birth information provided at registration is used solely for age verification. We do not use it for any other purpose and do not share it with third parties except as required by law.
- Civil Liability: FunTalker has implemented commercially reasonable age verification methods as required under Louisiana law to limit civil liability for access by minors.
Louisiana residents who have questions about our age verification practices may contact us at strangerchat.partner@gmail.com.
Data Security
We implement industry-standard security measures including encrypted data transmission (TLS), Firebase security rules, and anonymous session management. No system is 100% secure — please report any security concerns to our contact address.
Changes to This Policy
We may update this Privacy Policy from time to time. When we make significant changes, we will update the effective date at the top of this page. Continued use of FunTalker after changes are posted constitutes your acceptance of the updated policy.
Questions about your privacy or this policy?
strangerchat.partner@gmail.comWe aim to respond within 5 business days.