Version 2.1 | Last Updated: 4 December 2025
⚠️ IMPORTANT MEDICAL DISCLAIMER
Neeyafit provides fitness coaching services, NOT medical advice. Consult a qualified healthcare provider before starting any fitness program. We are not liable for health complications, injuries, or adverse effects arising from exercise participation. Users with pre-existing medical conditions, injuries, or health concerns proceed at their own risk. By using our services, you acknowledge that fitness training involves inherent risks and you assume full responsibility for your safety.
Neeyafit ("we," "our," or "us") is committed to protecting your privacy. This Privacy Policy explains how we collect, use, disclose, and safeguard your information when you use our online fitness coaching services at neeyafit.com.
This policy complies with the Information Technology Act, 2000 and the Information Technology (Reasonable Security Practices and Procedures and Sensitive Personal Data or Information) Rules, 2011. We are also preparing for compliance with the Digital Personal Data Protection Act, 2023 (pending finalization of rules and enforcement notification).
Neeyafit acts as the Data Controller under IT Rules 2011, determining the purpose and means of personal data processing. We engage third-party Data Processors who operate under Data Processing Agreements compliant with Indian data protection laws.
This policy serves as your privacy notice under IT Rules 2011 and in preparation for draft DPDP Rules 2025. It is provided in clear, plain language, itemized by data category, and accessible at all times through our website footer and account dashboard.
We collect the following personal information when you register or use our services:
Important: Health and fitness data constitutes Sensitive Personal Data or Information (SPDI) under IT Rules 2011. We collect this information only with your explicit written consent through dedicated consent forms separate from general terms.
Health Data Collected:
Granular Consent Mechanism:
We obtain separate, explicit consent for:
Consent Collection: Consent is obtained through clear, affirmative action (unchecked boxes that you must actively select). Pre-checked or implied consent is never used for health data processing.
Consent Records Include: Timestamp, IP address, consent version number, specific items consented to, and withdrawal mechanism explanation.
Consent Refresh: Consent is refreshed every 12 months for health data processing. You may withdraw consent at any time by contacting privacy@neeyafit.com, though this may affect service delivery.
Payment processing is handled by Razorpay Payments Pvt. Ltd., an RBI-authorized payment aggregator maintaining PCI-DSS Level 1 compliance and following RBI KYC regulations. We do not store your complete credit card or banking information on our servers.
Razorpay Data Collection: During checkout, Razorpay may collect additional information including billing address, email, phone number, and bank details for transaction authorization. For details on Razorpay's data processing practices, please review their privacy policy at razorpay.com/privacy
Data Retained by Neeyafit:
Data NOT Retained: Full card numbers, CVV/CVC, card expiry dates. All sensitive payment data is handled exclusively by Razorpay.
Transaction Data Sharing: Transaction information (amount, timestamp, payment method, status) is shared with Razorpay for payment processing and with your bank for authorization. Razorpay may retain this information per RBI regulations.
Refund Processing: Refund requests are processed through Razorpay. Your bank details used for the original payment will be used for refunds. Refund timelines depend on your financial institution and may take 5-7 business days.
Payment Disputes: Payment disputes should be directed to support@neeyafit.com within 60 days of transaction. We work with Razorpay to investigate and resolve disputes per their dispute resolution policy.
Video and audio recordings constitute Sensitive Personal Data as they may capture biometric information (facial features, voice patterns). Explicit written consent is required before the first recording session.
Recording Purposes:
Technical Safeguards: Video recordings are stored as standard video files without biometric extraction or automated facial analysis. Videos are NOT processed through any facial recognition, biometric authentication, or automated identification systems.
Your Rights: You may refuse recording for future sessions, request access to recorded content, or request deletion within 30 days of any session. Recordings are retained for 90 days unless you request earlier deletion.
Prohibited Uses: Recordings will NOT be used for facial recognition, biometric identification, third-party sharing, marketing, or commercial use beyond service delivery without separate explicit consent.
We use your information for the following purposes:
We engage the following Data Processors who operate under Data Processing Agreements compliant with IT Rules 2011 and ensure equivalent security standards:
Data Processing Agreements Include: Data security obligations, sub-processor restrictions, data breach notification timelines (24-48 hours), audit rights, and data deletion obligations upon contract termination.
Each processor has contractual obligations to maintain data security, confidentiality, and compliance with Indian data protection laws.
We may disclose your information if required by law or in response to:
In the event of a merger, acquisition, or sale of assets, your information may be transferred to the acquiring entity. We will notify you via email at least 30 days before any such change in ownership and provide you the opportunity to delete your account.
We implement industry-standard security measures to protect your information:
Privacy by Design: We implement privacy by design principles including data minimization, purpose limitation, storage limitation, and security by default in all system development.
Security Limitations: However, no method of transmission over the internet is 100% secure. While we implement reasonable security measures and strive to protect your information, we cannot guarantee absolute security against all potential threats.
Force Majeure: We are not liable for data breaches or service interruptions caused by circumstances beyond our reasonable control, including but not limited to: natural disasters, acts of terrorism, government actions, pandemics, cyberattacks on critical infrastructure, or infrastructure failures by third-party service providers.
Data Retention Principles: We adhere to storage limitation principles - data is retained only as long as necessary for the specific purpose for which it was collected or as required by law (e.g., 7 years for GST compliance).
Post-Deletion: Deleted data may remain in backups for 30 additional days before permanent deletion. Disaster recovery copies retained for 6 months. Anonymized data (with all personal identifiers removed) may be retained indefinitely for analytics.
Retention Review: Upon enforcement of Digital Personal Data Protection Rules, retention periods will be reviewed and adjusted within 180 days to ensure compliance with mandated limits as specified in the final rules.
Under IT Rules 2011 and in preparation for the Digital Personal Data Protection Act 2023, you have the following rights:
Request a copy of your personal data by emailing privacy@neeyafit.com with "Data Access Request" in the subject line. We will provide within 30 days:
Update or correct inaccurate information through Settings → Profile or email privacy@neeyafit.com. Corrections completed within 30 days.
Request deletion by emailing privacy@neeyafit.com with "Deletion Request" in the subject line. Most data deleted within 30 days; backup copies purged within 90 days.
Legal Exceptions: Transaction records (7 years for GST compliance), dispute records (until resolution), security logs (1 year), and anonymized analytics may be retained.
Receive your data in structured, machine-readable format (JSON/CSV) within 30 days of request to privacy@neeyafit.com.
Exported Data Includes: User profile, health assessments, workout history, progress measurements, and communication logs. Video recordings can be requested separately in MP4 format.
Withdraw consent for health data processing, video recording, or marketing communications anytime via privacy@neeyafit.com or Settings → Preferences.
Note: Withdrawal may affect service delivery. We will inform you of the impact before processing your withdrawal request.
Response Timeline: All requests responded to within 30 days as per IT Rules 2011 and in preparation for DPDPA 2023 requirements.
We use cookies and similar technologies to:
Cookie Consent: Upon first visit, users are presented with a cookie consent banner allowing granular acceptance or rejection of non-essential cookies as per draft DPDP Rules 2025. Essential cookies for authentication and security are used regardless of consent.
Cookie Categories:
You can control cookies through your browser settings. However, disabling cookies may affect website functionality. For more information on managing cookies, visit your browser's help documentation.
Age Requirement: Neeyafit is intended for users 18 years of age or older. We do not knowingly collect personal information from minors.
Policy Rationale: We have chosen not to offer services to minors (under 18) to avoid verifiable parental consent requirements under upcoming data protection regulations and to ensure appropriate fitness guidance for adult physiology.
Age Verification: Upon account creation, users must affirm they are 18 years or older through checkbox confirmation. We reserve the right to require government-issued ID for age verification.
Violations:
Discovery of underage users will result in:
If you believe we have collected information from a minor, contact us immediately at privacy@neeyafit.com.
Your personal data may be transferred to and processed in countries outside India, including the United States and European Union, where our service providers operate data centers.
You may request:
We will provide this information within 15 days of your request to privacy@neeyafit.com.
Data Localization: While we currently use international data processors for technical and cost efficiency, we are prepared to migrate to India-based infrastructure if data localization requirements are mandated by law. We maintain the capability to relocate all SPDI to Indian servers within 90 days of regulatory requirement.
In the event of a data breach compromising your personal information, we will notify you promptly as required by IT Rules 2011 and in accordance with best practices in preparation for DPDPA 2023 enforcement.
Breaches involving SPDI will be reported to the Ministry of Electronics and Information Technology within 72 hours of discovery, and to other appropriate regulatory authorities (including the Data Protection Board once established) as required by law.
We use AI-powered tools (Google Cloud AI services) to analyze workout performance data and provide personalized fitness recommendations.
AI recommendations are clearly labeled within the platform with an "AI-Assisted" badge, and you can access information about the factors considered in generating recommendations.
Your data will be processed only for the following purposes as required by IT Rules 2011:
Your data will NOT be used for:
Machine learning models trained on your data shall not identify you personally, shall be used only to improve coaching recommendations, and require separate explicit consent before implementation of new AI features.
While we implement reasonable security measures, you acknowledge and agree that:
You agree to indemnify, defend, and hold Neeyafit harmless from any claims, damages, liabilities, costs, or expenses (including reasonable attorneys' fees) arising from:
You agree to resolve disputes individually through binding arbitration as per the Arbitration and Conciliation Act, 1996.
Arbitration Terms:
Exceptions to Arbitration: You may bring claims in small claims court if they qualify, and either party may seek injunctive relief in court for intellectual property or confidentiality violations.
If any provision of this Privacy Policy is found to be invalid, illegal, or unenforceable by a court of competent jurisdiction, the remaining provisions shall continue in full force and effect. Invalid provisions shall be replaced with valid provisions that most closely reflect the original intent and economic effect of the invalid provision.
As required by IT Rules 2011, we have designated a Grievance Officer to address data privacy concerns:
Grievance Officer:
Response Timeline: 30 days from receipt of complaint
How to File a Complaint:
Escalation: For complaints regarding privacy violations, you may also lodge a complaint with:
We actively monitor developments in Indian data protection law and will update our practices within 180 days of any new law or regulation coming into force. Material changes will be communicated with 30 days advance notice via email and website banner.
Upon finalization of DPDP Rules 2025, we will comply with:
We are evaluating implementation of a registered Consent Manager platform to streamline consent collection and withdrawal processes in compliance with draft DPDP Rules 2025. This will provide centralized consent management across all digital services you use.
Risk Assessment: Given that we process sensitive health data and may serve a large user base, we anticipate potential designation as a Significant Data Fiduciary upon enforcement of DPDPA 2023.
Enhanced Obligations Preparation:
We are proactively implementing these enhanced protections to ensure seamless compliance.
For questions about this Privacy Policy or to exercise your rights:
General Inquiries: support@neeyafit.com
Privacy Inquiries: privacy@neeyafit.com
Website: neeyafit.com
Address: Bangalore, Karnataka, India
Business Hours: Monday - Saturday, 9:00 AM - 6:00 PM IST
Response Times:
We may update this Privacy Policy from time to time to reflect:
Your continued use of our services after changes take effect constitutes acceptance of the updated policy. If you do not agree with changes, you may delete your account before the effective date.
This is Version 2.1 of our Privacy Policy, effective December 4, 2025.
A complete changelog of policy updates is maintained and accessible upon request to privacy@neeyafit.com. Previous versions are archived and available for review.
Changelog:
Last Review Date: December 4, 2025
Next Scheduled Review: June 4, 2026 (or sooner upon DPDP Rules enforcement)
© 2025 Neeyafit. All rights reserved.
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