Legal information
Explicit Consent Notice
This notice explains how consent is requested, recorded, and withdrawn only for optional Enbilir activities that legally require explicit consent. Processing necessary for membership, security, or contracts relies on the relevant separate legal bases, not blanket consent.
Last updated: July 13, 2026
Consent must relate to a specific purpose.
Commercial-message consent is not required for membership.
You may withdraw consent prospectively at any time.
The difference between information and consent
The Privacy Notice explains the purposes and legal bases for processing. Explicit consent is a positive, informed, freely given choice for a specified processing activity.
Confirming that you read the Privacy Notice, accepting the Terms of Use, or acknowledging the investment disclaimer does not constitute explicit consent. Enbilir records these actions for separate purposes and does not present consent boxes as preselected.
Conditions for valid consent
Valid consent must specify its subject, follow sufficient information, and reflect a choice made without pressure. Silence, inactivity, or continued use alone is not consent.
- Consent is not interpreted as an indefinite permission for all current or future activities.
- Independent purposes are offered as separate choices where reasonably possible.
- The controller bears the burden of proving when, how, and for which notice version consent was given.
- Processing based on another legal ground is not artificially made conditional on consent.
Commercial electronic-message preference
The electronic-message option at registration is voluntary. If selected, it allows Enbilir to send educational content, product and feature announcements, events, membership offers, and similar promotional or informational messages to your registered channel.
Email verification, password and account-security notices, transaction or subscription confirmations, and legal notices required to operate the service may be sent independently of marketing permission. Refusing marketing permission does not prevent account creation.
Non-essential cookies and similar technologies
If Enbilir later uses non-essential analytics, personalization, or marketing cookies, they will be activated through a separate preference panel after appropriate information. General consent is not obtained through a cookie wall.
Essential session and security cookies may rely on performance of the service or legitimate interests. Enbilir does not misleadingly request consent where another legal basis properly applies.
User control in AI features
If you choose AI assistant, voice prompt, report, or market-analysis features, the content you submit may be sent to technical providers to perform the feature. Where this processing does not rely on contract performance or another legal basis, separate consent is requested before use with a clearly stated scope.
Even when consent is given, do not submit special-category data, real card/account details, passwords, or third-party confidential information. Choosing not to use an AI feature does not remove access to Enbilir's core membership and virtual-portfolio functions.
Consent records and proof
When you consent, the subject, notice version, timestamp, and account-linked technical record may be retained to manage preferences and demonstrate compliance. A refusal or withdrawal record may also be kept to prevent repeat messages and respect your choice.
Keeping proof of withdrawn consent does not authorize new consent-based processing; the record is used only to demonstrate compliance and manage disputes.
Withdrawal and its effects
Withdraw through account preferences, the opt-out method in each commercial message, or by writing from your registered email account to info@ultraakil.com. After identity verification, consent-based processing is stopped as soon as reasonably possible.
Withdrawal operates prospectively and does not invalidate lawful prior processing. If the same data remains necessary under a separate basis such as contract performance, legal duty, or protection of rights, it may continue to be processed only within that basis.
Changes and contact
A new activity that expands the scope or changes the purpose is not started under old consent. Updated information and a new, separate choice are presented where required.
Send consent questions to the Company at info@ultraakil.com. The application procedure in the Privacy Notice applies to personal-data rights.