Scope and Australian context
This notice explains how personal information is handled when you use this website, book a call or contact taliQ. Names, email addresses, phone numbers and booking details can be personal information.
The Privacy Act 1988 (Cth) and Australian Privacy Principles apply according to the verified legal entity, turnover, activities and any applicable exception. Regardless of whether every APP obligation applies, taliQ aims to use APP-style privacy-by-design practices. This notice does not claim universal compliance with every international privacy regime.
Information collected
- Bookings: details you give Calendly, such as your name, contact details, selected time and any booking response. Booking data is handled by Calendly and is not stored in a taliQ database.
- Direct contact: information you choose to include in an email or provide during a phone call.
- Technical operation: ordinary request, security and diagnostic information processed by hosting, network and error monitoring providers, which may include IP address, browser, device, time and requested URL.
- Website use: basic aggregate visit information through Cloudflare Web Analytics if enabled. No advertising, session replay or taliQ tracking database is used.
Do not send confidential, sensitive or regulated information in an initial enquiry unless an appropriate handling arrangement has been agreed.
Why information is used
Information is used to respond to enquiries, arrange and conduct discovery calls, provide requested services, secure and operate the website, diagnose failures, understand basic aggregate website use and meet applicable legal or record-keeping responsibilities. taliQ does not sell personal information or use it for advertising profiles.
Service providers and overseas handling
The website may rely on Railway for hosting, Cloudflare for DNS, security and privacy-first analytics, Calendly for scheduling and Sentry for minimised error diagnostics. Email and device providers also process information when you contact taliQ.
These providers may process information in the United States, Australia and other regions in which they or their subprocessors operate. Provider locations and terms can change. Where APP 8 applies, reasonable steps must be considered before disclosing personal information to an overseas recipient.
Retention and security
Information is kept only for as long as it is reasonably needed for the purpose, applicable records or a dispute, then deleted or de-identified where practical. Third-party providers apply their own documented retention settings and obligations.
Reasonable technical and organisational safeguards are used, but no internet transmission or storage method is completely secure. This website is not designed to receive sensitive case material.
Access, correction and complaints
You may contact taliQ to ask what personal information is held about you, request access or correction, or raise a privacy concern. Enough information may be required to verify the request without collecting more than is necessary.
Use the contact form to make the request. Where the Privacy Act applies and a concern is not resolved after a reasonable opportunity to respond, information about external complaint options is available from the OAIC.
People outside Australia
GDPR or UK GDPR rights and lawful-basis requirements apply only where those laws apply to the particular activity. A non-European organisation can be within GDPR scope when it offers goods or services to, or monitors the behaviour of, people in the EU. This general website is not a claim that every international privacy regime applies. Contact taliQ if you need to exercise a right that applies to your circumstances.
Changes and related information
This notice is reviewed when the website, providers or information handling change. The updated date will change when a material revision is published. See the Cookies notice for the current browser-storage inventory.
This notice describes the website’s current information-handling practices. It is not legal advice. Official guidance: OAIC APP 1, OAIC APP 8 and European Commission GDPR scope guidance.