Plain-English privacy notice

How DevMuse handles your information.

Who is responsible

DevMuse is responsible for the information handled through this service. Questions and data-rights requests can be sent to hello@devmuse.co.

What we collect

When you enquire or become a client, we may collect your name, business contact details, correspondence, website URL, agreed access details, project records and billing information. We do not ask you to send shared personal passwords.

Why we use it

We use this information to answer enquiries, provide and administer the requested service, keep security and delivery records, invoice clients, meet legal obligations and protect our legitimate business interests. Depending on the activity, our UK GDPR basis is taking steps towards or performing a contract, legal obligation, or legitimate interests.

Business outreach

We may send a small number of relevant messages to corporate business contacts whose public website shows a specific lead-path problem. We identify ourselves, explain why we contacted you and provide a simple way to opt out. We keep a minimal suppression record so that an opt-out is respected.

Who receives it

Information may be processed by the providers needed for email, hosting, invoicing and secure project delivery. We do not sell personal information. We assess providers and use appropriate safeguards when information is processed outside the UK.

How long we keep it

Unsuccessful outreach records are reviewed after 90 days; suppression records are kept as long as reasonably needed to honour the opt-out. Enquiry, client, financial and project records are retained only for contractual, tax, legal and security needs.

Your rights

You may have rights to access, correct, erase, restrict or object to use of your personal information, and to complain to the UK Information Commissioner’s Office. Contact us first if you would like us to help.

Cookies and analytics

This landing page does not set non-essential cookies in its launch version. If analytics or other non-essential technologies are added, the notice and consent controls must be updated first.