Privacy Policy

Amplab Inc. (“the Company”) establishes and discloses this Privacy Policy in accordance with Article 30 of the Personal Information Protection Act to protect personal information and to promptly and effectively address related concerns.


Article 1 (Purpose of Processing Personal Information)

The Company processes personal information for the following purposes. The information collected will not be used for any purpose other than those stated below. If the purpose of use changes, the Company will take necessary measures in accordance with Article 18 of the Personal Information Protection Act, including obtaining separate consent where required.

  1. Service Inquiries and Customer Support
    Personal information is processed to verify the identity of the inquirer, confirm inquiry details, contact or notify for fact-finding, and communicate results.


Article 2 (Processing and Retention Period)

  1. The Company processes and retains personal information within the period required by law or within the period agreed upon by the data subject at the time of collection.
  2. Retention periods are as follows:

  • Service inquiries and customer support: Until the inquiry or request has been fully resolved.
However, in the following cases, information will be retained until the relevant matter is concluded:

  1. If an investigation or inquiry is ongoing due to a violation of applicable laws, until the investigation is completed.
  2. If there are outstanding claims or liabilities related to website use, until such matters are settled.


Article 3 (Rights of Users and Legal Representatives)

  1. Data subjects may exercise the following rights at any time:

  • Request access to personal information
  • Request correction of errors
  • Request deletion
  • Request suspension of processing

  1. Rights may be exercised in writing, by phone, email, or fax, and the Company will respond without delay.
  2. If a correction or deletion request is made, the Company will not use or provide the relevant information until the request is completed.
  3. Rights may also be exercised through a legal representative or authorized agent, accompanied by a power of attorney in accordance with applicable regulations.
  4. Data subjects must not infringe upon the personal information or privacy of themselves or others in violation of applicable laws.


Article 4 (Categories of Personal Information Processed)

The Company processes the following personal information:

  1. Inquiry Response
    Required information: Name, Title, Company, Email, Mobile Phone Number
  2. Information Automatically Collected During Internet Use
    IP address, cookies, MAC address, service usage records, access logs, and records of improper use.


Article 5 (Destruction of Personal Information)

  1. The Company will promptly destroy personal information when it becomes unnecessary due to expiration of the retention period or achievement of the processing purpose.
  2. If retention is required by other laws even after the retention period has expired, the information will be stored separately in a different database or location.
  3. Destruction procedures and methods:



  • Electronic files are permanently deleted using methods such as low-level formatting to prevent recovery.
  • Paper documents are shredded or incinerated.


Article 6 (Security Measures)

The Company implements the following measures to ensure data security:

  • Administrative: Internal policies and regular employee training
  • Technical: Access control systems, encryption of sensitive information, and security software
  • Physical: Restricted access to data centers and storage facilities


Article 7 (Cookies)

  1. The Company uses cookies to provide personalized services.
  2. Cookies are small pieces of data sent by a website server to the user’s browser and stored on the user’s device.

Purpose: To analyze visit patterns, frequently searched terms, secure access status, and other usage behavior to deliver optimized services.

Users may refuse cookie storage through browser settings. However, disabling cookies may limit access to certain personalized features.


Article 8 (Data Protection Officer)

  1. The Company designates a Data Protection Officer (DPO) to oversee personal information processing and handle related inquiries and complaints.

Data Protection Officer
Name:
Title:
Contact:

Data Protection Department
Department:
Contact Person:
Contact:

  1. Users may contact the DPO or department regarding any privacy-related inquiries, complaints, or damage relief, and the Company will respond promptly.


Article 9 (Request for Access to Personal Information)

Data subjects may request access to their personal information under Article 35 of the Personal Information Protection Act through the department listed below. The Company will make every effort to process such requests promptly.

Department for Access Requests
Department:
Contact Person:
Contact:


Article 10 (Remedies for Infringement of Rights)

Data subjects may seek consultation or file complaints regarding personal information infringement with the following authorities:

Personal Information Infringement Report Center (operated by KISA)
Website: privacy.kisa.or.kr
Phone: 118

Personal Information Dispute Mediation Committee
Website: www.kopico.go.kr
Phone: 1833-6972

Supreme Prosecutors’ Office Cyber Crime Division: +82-2-3480-3573
National Police Agency Cyber Bureau: 182


Article 11 (Effective Date and Amendments)

This Privacy Policy is effective as of November 6, 2024.
Privacy Policy

Amplab Inc. (“the Company”) establishes and discloses this Privacy Policy in accordance with Article 30 of the Personal Information Protection Act to protect personal information and to promptly and effectively address related concerns.


Article 1 (Purpose of Processing Personal Information)

The Company processes personal information for the following purposes. The information collected will not be used for any purpose other than those stated below. If the purpose of use changes, the Company will take necessary measures in accordance with Article 18 of the Personal Information Protection Act, including obtaining separate consent where required.

  1. Service Inquiries and Customer Support
    Personal information is processed to verify the identity of the inquirer, confirm inquiry details, contact or notify for fact-finding, and communicate results.


Article 2 (Processing and Retention Period)

  1. The Company processes and retains personal information within the period required by law or within the period agreed upon by the data subject at the time of collection.
  2. Retention periods are as follows:

  • Service inquiries and customer support: Until the inquiry or request has been fully resolved.
However, in the following cases, information will be retained until the relevant matter is concluded:

  1. If an investigation or inquiry is ongoing due to a violation of applicable laws, until the investigation is completed.
  2. If there are outstanding claims or liabilities related to website use, until such matters are settled.


Article 3 (Rights of Users and Legal Representatives)

  1. Data subjects may exercise the following rights at any time:

  • Request access to personal information
  • Request correction of errors
  • Request deletion
  • Request suspension of processing

  1. Rights may be exercised in writing, by phone, email, or fax, and the Company will respond without delay.
  2. If a correction or deletion request is made, the Company will not use or provide the relevant information until the request is completed.
  3. Rights may also be exercised through a legal representative or authorized agent, accompanied by a power of attorney in accordance with applicable regulations.
  4. Data subjects must not infringe upon the personal information or privacy of themselves or others in violation of applicable laws.


Article 4 (Categories of Personal Information Processed)

The Company processes the following personal information:

  1. Inquiry Response
    Required information: Name, Title, Company, Email, Mobile Phone Number
  2. Information Automatically Collected During Internet Use
    IP address, cookies, MAC address, service usage records, access logs, and records of improper use.


Article 5 (Destruction of Personal Information)

  1. The Company will promptly destroy personal information when it becomes unnecessary due to expiration of the retention period or achievement of the processing purpose.
  2. If retention is required by other laws even after the retention period has expired, the information will be stored separately in a different database or location.
  3. Destruction procedures and methods:



  • Electronic files are permanently deleted using methods such as low-level formatting to prevent recovery.
  • Paper documents are shredded or incinerated.


Article 6 (Security Measures)

The Company implements the following measures to ensure data security:

  • Administrative: Internal policies and regular employee training
  • Technical: Access control systems, encryption of sensitive information, and security software
  • Physical: Restricted access to data centers and storage facilities


Article 7 (Cookies)

  1. The Company uses cookies to provide personalized services.
  2. Cookies are small pieces of data sent by a website server to the user’s browser and stored on the user’s device.

Purpose: To analyze visit patterns, frequently searched terms, secure access status, and other usage behavior to deliver optimized services.

Users may refuse cookie storage through browser settings. However, disabling cookies may limit access to certain personalized features.


Article 8 (Data Protection Officer)

  1. The Company designates a Data Protection Officer (DPO) to oversee personal information processing and handle related inquiries and complaints.

Data Protection Officer
Name:
Title:
Contact:

Data Protection Department
Department:
Contact Person:
Contact:

  1. Users may contact the DPO or department regarding any privacy-related inquiries, complaints, or damage relief, and the Company will respond promptly.


Article 9 (Request for Access to Personal Information)

Data subjects may request access to their personal information under Article 35 of the Personal Information Protection Act through the department listed below. The Company will make every effort to process such requests promptly.

Department for Access Requests
Department:
Contact Person:
Contact:


Article 10 (Remedies for Infringement of Rights)

Data subjects may seek consultation or file complaints regarding personal information infringement with the following authorities:

Personal Information Infringement Report Center (operated by KISA)
Website: privacy.kisa.or.kr
Phone: 118

Personal Information Dispute Mediation Committee
Website: www.kopico.go.kr
Phone: 1833-6972

Supreme Prosecutors’ Office Cyber Crime Division: +82-2-3480-3573
National Police Agency Cyber Bureau: 182


Article 11 (Effective Date and Amendments)

This Privacy Policy is effective as of November 6, 2024.
Privacy Policy

Amplab Inc. (“the Company”) establishes and discloses this Privacy Policy in accordance with Article 30 of the Personal Information Protection Act to protect personal information and to promptly and effectively address related concerns.


Article 1 (Purpose of Processing Personal Information)

The Company processes personal information for the following purposes. The information collected will not be used for any purpose other than those stated below. If the purpose of use changes, the Company will take necessary measures in accordance with Article 18 of the Personal Information Protection Act, including obtaining separate consent where required.

  1. Service Inquiries and Customer Support
    Personal information is processed to verify the identity of the inquirer, confirm inquiry details, contact or notify for fact-finding, and communicate results.


Article 2 (Processing and Retention Period)

  1. The Company processes and retains personal information within the period required by law or within the period agreed upon by the data subject at the time of collection.
  2. Retention periods are as follows:

  • Service inquiries and customer support: Until the inquiry or request has been fully resolved.
However, in the following cases, information will be retained until the relevant matter is concluded:

  1. If an investigation or inquiry is ongoing due to a violation of applicable laws, until the investigation is completed.
  2. If there are outstanding claims or liabilities related to website use, until such matters are settled.


Article 3 (Rights of Users and Legal Representatives)

  1. Data subjects may exercise the following rights at any time:

  • Request access to personal information
  • Request correction of errors
  • Request deletion
  • Request suspension of processing

  1. Rights may be exercised in writing, by phone, email, or fax, and the Company will respond without delay.
  2. If a correction or deletion request is made, the Company will not use or provide the relevant information until the request is completed.
  3. Rights may also be exercised through a legal representative or authorized agent, accompanied by a power of attorney in accordance with applicable regulations.
  4. Data subjects must not infringe upon the personal information or privacy of themselves or others in violation of applicable laws.


Article 4 (Categories of Personal Information Processed)

The Company processes the following personal information:

  1. Inquiry Response
    Required information: Name, Title, Company, Email, Mobile Phone Number
  2. Information Automatically Collected During Internet Use
    IP address, cookies, MAC address, service usage records, access logs, and records of improper use.


Article 5 (Destruction of Personal Information)

  1. The Company will promptly destroy personal information when it becomes unnecessary due to expiration of the retention period or achievement of the processing purpose.
  2. If retention is required by other laws even after the retention period has expired, the information will be stored separately in a different database or location.
  3. Destruction procedures and methods:



  • Electronic files are permanently deleted using methods such as low-level formatting to prevent recovery.
  • Paper documents are shredded or incinerated.


Article 6 (Security Measures)

The Company implements the following measures to ensure data security:

  • Administrative: Internal policies and regular employee training
  • Technical: Access control systems, encryption of sensitive information, and security software
  • Physical: Restricted access to data centers and storage facilities


Article 7 (Cookies)

  1. The Company uses cookies to provide personalized services.
  2. Cookies are small pieces of data sent by a website server to the user’s browser and stored on the user’s device.

Purpose: To analyze visit patterns, frequently searched terms, secure access status, and other usage behavior to deliver optimized services.

Users may refuse cookie storage through browser settings. However, disabling cookies may limit access to certain personalized features.


Article 8 (Data Protection Officer)

  1. The Company designates a Data Protection Officer (DPO) to oversee personal information processing and handle related inquiries and complaints.

Data Protection Officer
Name:
Title:
Contact:

Data Protection Department
Department:
Contact Person:
Contact:

  1. Users may contact the DPO or department regarding any privacy-related inquiries, complaints, or damage relief, and the Company will respond promptly.


Article 9 (Request for Access to Personal Information)

Data subjects may request access to their personal information under Article 35 of the Personal Information Protection Act through the department listed below. The Company will make every effort to process such requests promptly.

Department for Access Requests
Department:
Contact Person:
Contact:


Article 10 (Remedies for Infringement of Rights)

Data subjects may seek consultation or file complaints regarding personal information infringement with the following authorities:

Personal Information Infringement Report Center (operated by KISA)
Website: privacy.kisa.or.kr
Phone: 118

Personal Information Dispute Mediation Committee
Website: www.kopico.go.kr
Phone: 1833-6972

Supreme Prosecutors’ Office Cyber Crime Division: +82-2-3480-3573
National Police Agency Cyber Bureau: 182


Article 11 (Effective Date and Amendments)

This Privacy Policy is effective as of November 6, 2024.

Amplab Inc.  //  CEO Jinyoung Kim  //  Business Registration No. 825-86-03341  //  E-commerce Registration No. 2025-Sejong-0541  //  Customer Inquiries CEO@amplab.us  //  Address #112, 20 Dajeongjungang-ro, Sejong-si, Republic of Korea  //  Tel. +82-502-6823-5364  //  Hosting Service Amazon AWS  //  Privacy Policy

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ⓒ 2026 PANTL110. All rights reserved. Some images on this site are generated by AI.

Amplab Inc.  //  CEO Jinyoung Kim  //  Business Registration No. 825-86-03341  //  E-commerce Registration No. 2025-Sejong-0541  //  Customer Inquiries CEO@amplab.us  //  Address #112, 20 Dajeongjungang-ro, Sejong-si, Republic of Korea  //  Tel. +82-502-6823-5364  //  Hosting Service Amazon AWS  //  Privacy Policy

Login / Free Trial

ⓒ 2026 PANTL110. All rights reserved. Some images on this site are generated by AI.

Amplab Inc.  //  CEO Jinyoung Kim  //  Business Registration No. 825-86-03341  //  E-commerce Registration No. 2025-Sejong-0541  //  Customer Inquiries CEO@amplab.us  //  Address #112, 20 Dajeongjungang-ro, Sejong-si, Republic of Korea  //  Tel. +82-502-6823-5364  //  Hosting Service Amazon AWS  //  Privacy Policy

Login / Free Trial

ⓒ 2026 PANTL110. All rights reserved. Some images on this site are generated by AI.

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