Privacy Policy

NeuralTask Privacy Policy (GDPR)

Last updated: 18 May 2026

1. Data Controller

The Data Controller of personal data covered by this Privacy Policy for NeuralTask (the "App") is:

2. Scope

This Privacy Policy describes how NeuralTask processes personal data in connection with: (i) use of the App and its features and (ii) optional newsletter subscription at neuraltask.app. It reflects a local-first architecture for user content and is provided in compliance with EU Regulation 2016/679 (GDPR), Apple platform requirements (including App Tracking Transparency), and other applicable laws.

3. Personal Data Processed

3.1 User Content Processed Primarily Locally on the Device

NeuralTask follows a local-first architecture: tasks, projects, notes, preferences, local histories, Calendar/Reminders integrations, and most AI logic remain primarily on the user's device and/or within Apple services under the user's control.

This includes, for example:

Important exception: when the user uses a cloud/internet-backed feature (e.g., Cloud AI, remote Coach, Neural Assist, project/task analysis via remote model, or other AI functions delivered by the backend), relevant portions of user-entered content may be transmitted to the NeuralTask backend and to the server-configured AI provider to generate the response. In such flows we adopt payload minimization and sanitization measures, particularly for location data.

3.2 Technical Data and Pseudonymous App Identifiers

We may process technical data strictly necessary for the functioning of the app, security, service integrity, and measured service improvement. This may include the following App Store privacy data categories:

The Firebase/installation UUID generated by the app and used by NeuralTask is a pseudonymous identifier: it is not intended to directly identify the user by name, but may still be considered personal data under GDPR if it can be linked to an app installation, a device, or related records.

For advertising consent flows, NeuralTask uses Google User Messaging Platform (UMP) where legally required. The Advertising Identifier (IDFA) is used for AdMob personalization only if: (i) the applicable UMP consent flow outcome makes personalized ads eligible and (ii) the user authorizes Apple App Tracking Transparency (ATT).

If consent is not granted, consent signals are ambiguous/unavailable, or ATT is denied/restricted/not authorized, NeuralTask requests non-personalized ads (NPA) and does not use IDFA for advertising personalization.

No advertising tracking (cross-app or cross-website via IDFA) occurs unless the user has granted ATT permission.

3.3 NeuralCoin and Transaction Data (Firebase)

To manage NeuralCoin balance and movements, NeuralTask stores in Firebase only the data necessary for this purpose, associated with the app-generated UUID, for example:

3.4 Cloud AI Features (Firebase proxy + server-side LLM provider)

When the user uses remote/cloud AI functions, NeuralTask sends to its proxy backend only the data relevant to generating the response, for example:

In the current backend implementation, cloud AI requests pass through Firebase Functions and are forwarded to the server-configured LLM provider, which in the current backend code is OpenAI.

NeuralTask is not designed to store the full prompt text in Firestore as product content; however, prompts are processed transiently to deliver the response, and technical/quota/anti-abuse records associated with the request may be retained.

3.5 Newsletter Data (website: neuraltask.app)

If a user voluntarily subscribes to the newsletter at neuraltask.app, the Data Controller may process and store in Firebase:

Each newsletter email includes links allowing the recipient to unsubscribe and/or request email deletion, in line with applicable European privacy requirements.

3.6 Apple System Services / Permissions (if enabled by the user)

If the user grants specific permissions, NeuralTask may interact with device features and Apple services, for example:

Such data is used only to provide the requested functionality. Apple Calendar/Reminders data, location data, and Health data remain primarily on the device and/or within the user's Apple services; their contents are not synced as a central repository by the Data Controller.

These permissions are used only for app features and are not used for advertising or tracking. This functionality is distinct from advertising tracking (IDFA).

NeuralTask does not send raw GPS coordinates to its AI/Firebase backend. If the user activates cloud functions that leverage context or wellness, the backend may receive only derived/minimized versions or sanitized context summaries necessary to generate the response.

4. Purposes of Processing and Legal Bases (GDPR)

We process data for the following purposes:

A. Provision of Core App Features (local-first functionality)

Examples:

Legal basis: performance of a contract / provision of the requested service (Art. 6.1.b GDPR). Many of these operations occur locally on the user's device and are not accessible to the Data Controller.

B. NeuralCoin Balance Management, Validations and Transactions

Examples:

Legal basis: contract performance (Art. 6.1.b GDPR) and the Data Controller's legitimate interest in security and service integrity (Art. 6.1.f GDPR).

C. Provision of Cloud AI Features and Remote Tutoring

Examples:

Legal basis: contract performance / provision of the requested functionality (Art. 6.1.b GDPR) and the Data Controller's legitimate interest in security, abuse prevention, and service continuity (Art. 6.1.f GDPR).

D. Rewarded Ads (Google AdMob)

Examples:

Legal basis: consent (Art. 6.1.a GDPR), where required by applicable law (e.g., EEA/UK for ads and advertising identifiers); in other cases, legitimate interest/technical necessity in accordance with applicable law.

E. Analytics and Product Monitoring

Examples:

Legal basis: legitimate interest (Art. 6.1.f GDPR) for security/reliability and service improvement, and consent where required by applicable law or platform requirements.

F. Newsletter Subscription and Communications (neuraltask.app)

Legal basis: consent (Art. 6.1.a GDPR). Consent may be revoked at any time via the links provided in each newsletter email.

G. Security, Abuse Prevention and Service Continuity

Legal basis: legitimate interest (Art. 6.1.f GDPR) and/or legal obligations (Art. 6.1.c GDPR).

H. Legal, Tax and Accounting Compliance

Legal basis: legal obligation (Art. 6.1.c GDPR).

5. Third-Party Services Used

NeuralTask uses third-party services that may process personal data on behalf of the Data Controller (as data processor/service provider) and/or as independent controllers for specific purposes, depending on the service, product configuration, and applicable contractual terms.

5.1 Google AdMob (Rewarded Ads)

Used for:

Consent & personalization: Where legally required, users may be presented with ad consent choices via UMP (including personalized and non-personalized ads, where applicable). NeuralTask requests ATT only when the UMP outcome makes personalized ads eligible. If ATT is denied/restricted/not authorized, NeuralTask requests non-personalized and/or limited-personalization ads.

5.2 Firebase (Google) - auth, backend records, AI quota/security, NeuralCoin data, and optional newsletter email

Used for anonymous/account auth bootstrap, session management, App Check, NeuralCoin balance storage, AI quota/security records, anti-abuse, and newsletter email storage (if voluntarily provided on neuraltask.app).

5.3 Cloud AI Provider via Secure Proxy (current backend implementation)

Cloud AI provider: In the current backend implementation, NeuralTask uses OpenAI as its large language model (LLM) provider for cloud AI features. The aiProxyChat backend proxy (Firebase Function) forwards requests to OpenAI. NeuralTask does not share raw GPS coordinates, personally identifiable names, non-derived health data, full payment details, or access credentials with OpenAI.

Data sent to the cloud AI provider: When the user uses a cloud AI feature, the backend proxy sends only the data strictly necessary to generate the response. This includes:

Purpose: Data processing at the cloud AI provider is limited to generating responses for NeuralTask's cloud AI features, including:

Retention and use of data by the provider:

5.4 Firebase Analytics (Google)

Used for understanding product interaction trends, feature usage analysis, and supporting aggregate reporting and release quality decisions.

5.5 Apple System Services (Calendar / Reminders / Notifications / Health / Location)

Used to provide user-requested device integrations. Data remains on device and/or within the user's Apple services.

5.6 Apple (App Store / StoreKit)

Used for in-app purchase processing of NeuralCoin packs.

6. International Data Transfers

Some third-party providers (e.g., Google AdMob, Firebase, Apple services, and the server-configured cloud AI provider) may process data outside the European Economic Area.

In such cases, the Data Controller adopts reasonable measures to ensure transfers comply with GDPR, including adequacy decisions, Standard Contractual Clauses (SCCs), and other legally required safeguards.

7. Data Retention Periods

Data is retained for the time strictly necessary for the indicated purposes and in compliance with minimization and storage limitation principles. The periods below are indicative and may vary based on legal obligations, fraud/security investigations, dispute management, and technical requirements.

8. Data Subject Rights - GDPR

Under GDPR, the user may exercise the following rights, within the limits provided by law:

To exercise your rights, contact: neuraltask@alessandrodigiusto.it.

9. Account Deletion and Data Deletion

Current app architecture: NeuralTask maintains a local-first design for personal content while also managing cloud records associated with session/account for NeuralCoin wallet, purchases, AI quota/security, dashboard summaries, newsletter, and other necessary backend operations.

Deletion directly from the App: The current version of the App allows permanent deletion of both guest session and registered account from the settings area. This flow triggers backend deletion of associated cloud data. For guest sessions, a new clean anonymous session is automatically created after completion.

10. Consent, Advertising, and Consent Withdrawal

Where required by applicable law, NeuralTask presents users with appropriate consent choices (e.g., via UMP for advertising). Users may withdraw consent at any time without affecting the lawfulness of processing based on consent before its withdrawal.

If ATT is denied, NeuralTask does not use the IDFA and serves only non-personalized or limited-personalization ads.

11. Changes to This Policy

We may update this Privacy Policy from time to time. Users will be notified of material changes through the App and/or via the contact email provided.

12. Children's Privacy

The App is not intended for children under the age of 13 (or the equivalent minimum age in the relevant jurisdiction). We do not knowingly collect personal data from children.

13. Contact

For any questions, requests, or concerns regarding this Privacy Policy, please contact:

© 2026 Alessandro Di Giusto — NeuralTask. All rights reserved.