Privacy Policy
Last updated: September 6, 2026. This Policy concerns browsing athledex.com and contacting Athledex about its brand, stories, projects or partnerships. It describes the current website, not the data practices of future services.
1. Who is responsible
Athledex is a subsidiary of MONJODAV, a French société par actions simplifiée unipersonnelle (SASU). MONJODAV is the controller for the website-related processing described here. For a privacy question or request, send a private message to the official Instagram account @athledex, indicating “Privacy request”.
2. Browsing and technical data
You can read the website without creating an account. The current site has no registration, checkout, newsletter form or public comments. It does not request access to your precise location, camera, microphone or contacts.
Delivering a web page still involves technical data. The hosting and content-delivery infrastructure receives information such as your IP address, requested URL, request time, browser information and response status. Security and diagnostic logs may record this information to deliver content, investigate errors and protect the site against abuse. A static website is not the same as a website that processes no personal data.
3. Messages and material you send
If you contact Athledex, the exchange may include your name or handle, contact details, the content of your message and any material you choose to share. This information is used to answer you, assess a proposal, follow up on an ongoing discussion or handle a rights request.
Providing this information is voluntary, but enough detail is needed to respond. Please avoid sending identity documents, health information or personal data about other people unless necessary and specifically requested through an appropriate channel.
4. Purposes and legal bases
- Website delivery and security: legitimate interests in making the site available, diagnosing faults and preventing abuse (GDPR Article 6(1)(f)).
- General enquiries and collaboration discussions: legitimate interests in responding to people who contact Athledex. Where you request steps towards a contract with you, Article 6(1)(b) may apply instead.
- Legal obligations and privacy requests: compliance with applicable law (Article 6(1)(c)). Necessary retention for legal claims may rely on legitimate interests.
- Optional uses requiring consent: separate permission will be requested where required, and can be withdrawn without affecting earlier lawful processing.
The current website does not sell browsing data, run advertising profiling or make automated decisions with legal or similarly significant effects about visitors. A contact message is not a newsletter subscription.
5. Cookies, media and social links
The current website code does not set analytics or advertising cookies, use tracking pixels, or store visitor profiles in browser storage. Fonts, images and videos are served with the website rather than through embedded social-media players. The hosting provider may use technical protections to keep the service secure.
Links to Instagram, TikTok and partner websites take you to external services when you choose to open them. Those providers then process data under their own policies and settings. Your browser may send technical information, including a referring site, when following a link.
If optional tracking is introduced, this Policy will be updated and a choice offered before it operates where consent is required. You can also manage cookies and site permissions in your browser.
6. Who may receive data
Access is limited to the people handling the relevant enquiry or website operation and service providers needed for that purpose. The site is hosted by Vercel Inc., which provides hosting, content delivery and security infrastructure. Its Privacy Notice describes its own processing, and its Data Processing Addendum describes processing on behalf of eligible customers.
A social network also handles messages sent through its platform under its own terms. Data may be disclosed to competent authorities or professional advisers when necessary to comply with the law or establish, exercise or defend legal claims. A club partnership does not, by itself, authorise sharing visitors’ contact details with the club.
7. International processing
Hosting and social-network infrastructure can involve processing outside the European Economic Area, including in the United States. This website does not promise that all data stays in France or the EU.
Where GDPR transfer rules apply, the relevant transfer must rely on an applicable adequacy decision or appropriate safeguards, such as the European Commission’s standard contractual clauses. You may contact Athledex for information about the safeguards applicable to your data. External platforms’ independent processing is described in their own policies.
8. How long information is kept
Retention depends on the purpose and type of information:
- Enquiries: the time needed to answer, complete relevant follow-up and deal with an unresolved issue. An ongoing collaboration may require retaining relevant exchanges for the duration of that relationship.
- Technical logs: the hosting provider’s applicable retention settings and the time needed to investigate a security or operational incident. There is no single retention period stated here for all infrastructure logs.
- Legal and rights-related records: the period required by an applicable obligation or necessary to document compliance or handle a claim, subject to the relevant limitation period.
Data should be deleted or anonymised when its purpose and any justified retention period have ended. Copies held independently by social platforms remain subject to those platforms’ policies. You can request information about the retention criteria for a particular exchange.
9. Your data protection rights
Under the GDPR and applicable French law, you may request access, correction, erasure or restriction of processing, and object to processing based on legitimate interests. Portability applies where its legal conditions are met, notably for automated processing based on consent or a contract. Where processing relies on consent, you can withdraw it at any time. These rights are subject to statutory conditions and exceptions.
Send a private message to @athledex with “Privacy request” and enough context to locate the relevant information. Do not post sensitive details publicly. Additional information will only be requested where reasonably necessary to verify identity or clarify the request.
The GDPR normally requires a response within one month. For complex or numerous requests, that period may be extended by up to two further months, with notice and reasons within the first month. Requests are normally free of charge, subject to the exceptions allowed by law.
You may complain directly to the French data protection authority, the CNIL, or to another competent supervisory authority, including in the country where you live or work. You do not have to contact Athledex first.
10. Young visitors
The website is publicly readable and does not create visitor accounts or ask for a date of birth. Young visitors should avoid sharing personal information and follow the age rules of any external social platform they use. If a child has sent unnecessary personal data, a parent or guardian can contact Athledex to request its removal, subject to applicable legal obligations.
11. Security and changes
The website uses HTTPS to protect data in transit. No online service can guarantee absolute security; avoid sharing confidential or sensitive material through public channels.
This Policy will be updated when relevant website practices change. The date above identifies the current version. New collection features will need appropriate privacy information at the point where data is requested. See also the Website Terms of Use.
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