FoogleGiber LLC • Privacy Notice
Last updated: July 1, 2026
This Privacy Policy explains how Meridian, operated by FoogleGiber LLC, handles personal data relating to evaluators, subscribers, and visitors engaging with our software and services. FoogleGiber LLC determines the purposes and means of processing and complies with the EU General Data Protection Regulation (GDPR), the UK GDPR, and applicable U.S. privacy statutes.
We collect account credentials, licensing telemetry, payment confirmations, diagnostic events, and correspondence necessary to provision and secure Meridian. Depending on your interactions, this can include your name, business contact details, device fingerprints derived from hardware identifiers, billing references from our payment processor, and communications with our support and compliance teams. We do not store full payment card numbers or raw hardware attestation artifacts.
Processing is grounded in contractual necessity, legal obligations related to fraud prevention and export controls, and legitimate interests in protecting Meridian infrastructure. Where we rely on consent—such as for optional telemetry—we request it explicitly and honor withdrawal without prejudice. We do not sell personal data and do not conduct automated decision-making that produces legal or similarly significant effects.
Operational telemetry and licensing records are retained for the duration of your Meridian subscription and up to twenty-four months thereafter to satisfy audit and regulatory requirements. Support artifacts are retained for up to eighteen months unless earlier deletion is required. At the end of each retention period, we securely delete or irreversibly anonymize the data using industry-standard sanitization procedures appropriate to the storage medium.
You may exercise rights of access, rectification, portability, restriction, objection, and erasure at any time. Submit authenticated requests through your Meridian account representative or the contact instructions provided in your purchase documentation. We verify identity against the account owner of record and respond within one calendar month, extending only where legally permitted. Deletion requests revoke active licenses and remove related personal data unless retention is mandated by tax, dispute, or security obligations.
When transferring personal data outside your jurisdiction, we rely on adequacy decisions, contractual safeguards, or other mechanisms recognized by applicable law. FoogleGiber LLC continually reviews its sub-processor obligations and updates customers through official Meridian communications. For questions or complaints, contact the FoogleGiber LLC privacy team using the channels listed on your Meridian invoice or published at https://getnimbus.net. You retain the right to escalate concerns to your supervisory authority.