How record categories follow operational, contractual, security and legal retention drivers.
Internal professional-review state: PROFESSIONAL_REVIEW_REQUIRED. Semantic version: 2.0.0.
1. Purpose, status and professional review boundary
For Data Retention & Deletion Policy, purpose, status and professional review boundary is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material. Within purpose, status and professional review boundary, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy.
2. Definitions and interpretation
For Data Retention & Deletion Policy, the definitions and interpretation workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted. The Data Retention & Deletion Policy exception path for definitions and interpretation is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations.
3. SRC AI and SRC Launch relationship
Within src ai and src launch relationship, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy. SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For src ai and src launch relationship, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy.
4. Who may use the service
The Data Retention & Deletion Policy exception path for who may use the service is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations. SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the who may use the service context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional.
5. Scope of covered activities
SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For scope of covered activities, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy. For Data Retention & Deletion Policy, scope of covered activities is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material.
6. Lifecycle and operational checkpoints
SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the lifecycle and operational checkpoints context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional. For Data Retention & Deletion Policy, the lifecycle and operational checkpoints workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted.
7. Customer instructions and accuracy
For Data Retention & Deletion Policy, customer instructions and accuracy is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material. Within customer instructions and accuracy, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy.
8. Account security and authorized representatives
For Data Retention & Deletion Policy, the account security and authorized representatives workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted. The Data Retention & Deletion Policy exception path for account security and authorized representatives is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations.
9. Information and document quality
Within information and document quality, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy. SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For information and document quality, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy.
10. Consent and lawful basis
The Data Retention & Deletion Policy exception path for consent and lawful basis is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations. SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the consent and lawful basis context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional.
11. Data minimization and purpose limitation
SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For data minimization and purpose limitation, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy. For Data Retention & Deletion Policy, data minimization and purpose limitation is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material.
12. Private storage and access control
SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the private storage and access control context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional. For Data Retention & Deletion Policy, the private storage and access control workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted.
13. Cross-border operations
For Data Retention & Deletion Policy, cross-border operations is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material. Within cross-border operations, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy.
14. Independent authorities and providers
For Data Retention & Deletion Policy, the independent authorities and providers workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted. The Data Retention & Deletion Policy exception path for independent authorities and providers is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations.
15. Human-controlled fulfilment
Within human-controlled fulfilment, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy. SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For human-controlled fulfilment, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy.
16. AI-assisted workflows
The Data Retention & Deletion Policy exception path for ai-assisted workflows is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations. SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the ai-assisted workflows context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional.
17. Website readiness and website services
SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For website readiness and website services, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy. For Data Retention & Deletion Policy, website readiness and website services is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material.
18. Banking and payment-platform boundaries
SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the banking and payment-platform boundaries context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional. For Data Retention & Deletion Policy, the banking and payment-platform boundaries workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted.
19. Tax and legal information boundaries
For Data Retention & Deletion Policy, tax and legal information boundaries is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material. Within tax and legal information boundaries, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy.
20. Fees, costs and financial records
For Data Retention & Deletion Policy, the fees, costs and financial records workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted. The Data Retention & Deletion Policy exception path for fees, costs and financial records is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations.
21. Cancellations, corrections and exceptions
Within cancellations, corrections and exceptions, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy. SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For cancellations, corrections and exceptions, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy.
22. Delays and unavailable dependencies
The Data Retention & Deletion Policy exception path for delays and unavailable dependencies is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations. SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the delays and unavailable dependencies context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional.
23. Risk review and prohibited conduct
SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For risk review and prohibited conduct, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy. For Data Retention & Deletion Policy, risk review and prohibited conduct is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material.
24. Security incidents and service continuity
SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the security incidents and service continuity context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional. For Data Retention & Deletion Policy, the security incidents and service continuity workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted.
25. Retention, deletion and legal holds
For Data Retention & Deletion Policy, retention, deletion and legal holds is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material. Within retention, deletion and legal holds, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy.
26. Customer rights and requests
For Data Retention & Deletion Policy, the customer rights and requests workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted. The Data Retention & Deletion Policy exception path for customer rights and requests is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations.
27. Communications and electronic records
Within communications and electronic records, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy. SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For communications and electronic records, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy.
28. Complaints and escalation
The Data Retention & Deletion Policy exception path for complaints and escalation is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations. SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the complaints and escalation context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional.
29. Audit evidence and decision provenance
SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For audit evidence and decision provenance, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy. For Data Retention & Deletion Policy, audit evidence and decision provenance is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material.
30. Versioning and material changes
SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the versioning and material changes context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional. For Data Retention & Deletion Policy, the versioning and material changes workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted.
31. Accessibility and readable records
For Data Retention & Deletion Policy, accessibility and readable records is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material. Within accessibility and readable records, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy.
32. International use and local law
For Data Retention & Deletion Policy, the international use and local law workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted. The Data Retention & Deletion Policy exception path for international use and local law is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations.
33. Conflicts, severability and survival
Within conflicts, severability and survival, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy. SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For conflicts, severability and survival, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy.
34. Practical examples and non-exhaustive scenarios
The Data Retention & Deletion Policy exception path for practical examples and non-exhaustive scenarios is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations. SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the practical examples and non-exhaustive scenarios context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional.
35. Launch and pilot limitations
SRC Launch is a product/service of SRC AI. The eventual legal identity, licence, activity classification, registration number, address, tax identity, governing law and dispute forum remain unverified or pending authoritative confirmation. Nothing in this document represents SRC Launch as a separate incorporated entity, and no unresolved field may be converted into a public legal fact. For launch and pilot limitations, brand-level wording is therefore used until the governed identity registry contains verified, published facts with appropriate visibility settings under Data Retention & Deletion Policy. For Data Retention & Deletion Policy, launch and pilot limitations is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material.
36. Contact configuration and unresolved identity
SRC Launch is not a government, bank, payment processor, tax authority or law firm. Formation authorities, registered agents, fulfilment providers, banks, payment platforms and qualified advisers make independent decisions under their own rules. Preparation, coordination, evidence or readiness guidance does not guarantee eligibility, timing, approval, account availability or a tax result. In the contact configuration and unresolved identity context, these limitations are paired with the next useful step under Data Retention & Deletion Policy: clarify the missing fact, correct the evidence, obtain Human review or consult an appropriately qualified professional. For Data Retention & Deletion Policy, the contact configuration and unresolved identity workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted.
37. Owner governance and publication controls
For Data Retention & Deletion Policy, owner governance and publication controls is applied to retention schedules, deletion eligibility, backups, legal holds, correction and audit integrity. The practical record set includes accounts, applications, documents, messages, financial records, consents, logs and backup copies. Records are used to explain what happened, support authorized work, preserve exact-version decisions and permit correction; they are not a licence to collect unrelated information or publish private material. Within owner governance and publication controls, a customer is expected to request deletion through authenticated channels and identify the relevant records. SRC Launch should explain a request in usable language, request only information reasonably connected to the task, and record exceptions. Missing, conflicting, stale or suspicious evidence may pause the affected workflow while unrelated rights and support routes remain available under Data Retention & Deletion Policy.
38. Questions for qualified professional review
For Data Retention & Deletion Policy, the questions for qualified professional review workflow distinguishes automated checks, staff preparation, Human approval, independent-provider action and qualified-professional judgment. Relevant decisions include classification, review, hold, deletion, de-identification, restoration and schedule change. A status shown by the platform describes current evidence only. It must not be restated as a legal conclusion, a provider commitment or proof that an external authority has acted. The Data Retention & Deletion Policy exception path for questions for qualified professional review is privacy review, legal hold, backup exception and complaint. Escalation is not an admission of fault and does not silently change an order, consent or legal position. The reviewing person should identify scope, evidence, affected version, limitations, action, owner and date so a later reviewer can understand the decision without reconstructing private conversations.

