Privacy Policy – Finetech Consultancy
πŸ”’ Legal & Privacy

Unified Data Privacy Policy
& Legal Framework

Governing our multi-jurisdictional operations across Sri Lanka, Singapore, Bangladesh, and Australia β€” in compliance with global data protection standards.

Finetech Consultancy (FCPL)Data Controller & Data Fiduciary
Scopewww.fcpl.biz & Global Subsidiaries
Contactinfo@fcpl.biz
Last UpdatedApril 10, 2026
Regulatory Frameworks Applied
πŸ‡±πŸ‡°
Sri Lanka
Personal Data Protection Act No. 9 of 2022
πŸ‡§πŸ‡©
Bangladesh
Personal Data Protection Ordinance 2025
πŸ‡ΈπŸ‡¬
Singapore
Personal Data Protection Act (PDPA)
πŸ‡¦πŸ‡Ί
Australia
Privacy Act 1988 β€” 13 APPs
1

Introduction and Jurisdictional Scope

In the current era of rapid cloud transformation and AI-driven enterprise evolution, Finetech Consultancy (FCPL) recognizes the strategic necessity of a unified legal framework to govern its multi-jurisdictional operations. This policy serves as the foundational data governance architecture for www.fcpl.biz and its global subsidiaries: Finetech International, Finetech Holdings Singapore, and Finetech Global Solutions.

FCPL operates as a Data Controller and Data Fiduciary, maintaining a centralized governance model anchored at our primary head office in Rajagiriya, Sri Lanka, with regional compliance hubs in Dhaka, Bangladesh, and Singapore.

Jurisdiction Primary Regulatory Framework
πŸ‡±πŸ‡° Sri LankaPersonal Data Protection Act No. 9 of 2022
πŸ‡§πŸ‡© BangladeshPersonal Data Protection Ordinance 2025
πŸ‡ΈπŸ‡¬ SingaporePersonal Data Protection Act (PDPA)
πŸ‡¦πŸ‡Ί AustraliaPrivacy Act 1988 (including the 13 Australian Privacy Principles)

This document constitutes the foundational agreement between FCPL and its global users, ensuring that data moving across cross-border silos maintains the highest standard of legal protection.

2

Information Collection: Core Operations and AI Innovations

FCPL has transitioned from traditional data capture to advanced, interaction-based collection. We distinguish between Personal Data (identifiers, contact details) and Sensitive Personal Data as defined by the Bangladesh Ordinance 2025, which includes biometric data, genetic information, and financial condition records.

AI Innovation: Our multi-lingual chatbot agent β€” developed using Google Vertex AI and Dialogflow β€” integrates halsaguru natural language processing technology to support Sinhala, Tamil, and English. This agent also facilitates our Disaster Management Solution, collecting real-time location data to connect individuals in distress with authorities.
  • πŸ“‹
    Website FormsCollection of contact and service inquiry data.
  • πŸͺ
    Cookies & TrackingMetadata collection for portal performance and user journey mapping.
  • πŸ€–
    Chatbot LogsProcessing of natural language interactions to refine halsaguru models and route support.
  • πŸ“
    Location DataSpecific collection via AI agents for disaster response and emergency management.
  • πŸ”—
    Third-Party Service ProvidersIntegrated data streams from Google Workspace, Microsoft Azure, and infrastructure partners.
3

Purpose of Processing and Legitimate Interests

FCPL processes data under clearly defined legal grounds, prioritizing contractual fulfillment and the pursuit of legitimate business interests consistent with the Asante Capital Model of global best practices.

Legitimate InterestDescription
Fraud PreventionEnsuring network security and data integrity across all platforms.
Direct MarketingPromotion of cloud-native, AI/ML, and Cybersecurity solutions.
Intragroup TransfersAdministrative and operational efficiency across subsidiaries.
Legal EnforcementEnforcement of legal claims and reporting possible criminal acts.
AML ComplianceWhistleblowing and Anti-Money Laundering compliance obligations.
IT SecurityPhysical and IT security of our multi-cloud infrastructure.
Market ResearchService optimization and internal risk management.

These interests drive our promise of "15x Productivity" gains. Processing of employee data via our Timespot solution enables clients such as Emerald Isle Manpower and Ritz Clothing to achieve scalable, cloud-native workflows.

4

Regional Annex A: Australian Privacy Principles (APP) Compliance

FCPL adheres to the transparency standards of the Office of the Australian Information Commissioner (OAIC), mapping our operations to all 13 APPs.

01
Open & Transparent ManagementMaintaining this up-to-date policy.
02
Anonymity & PseudonymityAllowing users to explore solutions without full identification where practicable.
03
Collection of Solicited DataCollecting only what is necessary for Google Premier Partner services.
04
Unsolicited InformationDe-identifying or destroying unsolicited data.
05
Notification of CollectionProviding clear notice at the point of capture.
06
Use or DisclosureLimiting disclosure to primary purposes only.
07
Direct MarketingProviding clear opt-out mechanisms for all marketing communications.
08
Cross-Border DisclosureImplementing SCCs for data moving to Singapore and Sri Lanka silos.
09
Government IdentifiersFCPL does not adopt or use government identifiers.
10
Quality of InformationTaking reasonable steps to ensure data is accurate and relevant.
11
Security of InformationProtecting data from misuse, loss, and unauthorized access.
12
Access to InformationFacilitating subject requests for data access.
13
Correction of InformationProviding mechanisms for correction of inaccurate data.
5

Regional Annex B: Bangladesh Personal Data Protection Ordinance 2025

Under the 2025 Ordinance, FCPL operates with rigorous compliance for our Dhaka-based operations.

Data ClassificationLocalization Strategy
PublicCloud-first strategy permitted.
Private / InternalCloud-first strategy with access controls.
ConfidentialEncrypted storage with restricted access.
RestrictedLocalized within Bangladesh per Section 34.
Data Protection Officer (DPO): Pursuant to Section 26, FCPL has appointed a DPO as the primary point of contact for data subjects and the National Data Governance Authority. The DPO oversees compliance from our office at Rahman Mansion (Level 2), 161 Motijheel C/A, Dhaka 1000.

Subject rights under the Ordinance include the Right to Erasure (Section 15), Right to Portability (Section 14), and the unique Right to Prevent Processing (Section 16) if continued processing is likely to cause harm to the data subject.

6

Data Security, Storage, and Cross-Border Transfers

FCPL employs a "Security-by-Design" philosophy, leveraging our Google Premier Partner status to protect multi-cloud environments.

  • πŸ”
    Pseudonymization & EncryptionDe-identification of sensitive datasets and AES-256 encryption at rest and in transit.
  • 🌐
    Network ResiliencePeriodic assessments of electronic communications networks and risks to processing systems as required by Section 21(3)(e) of the Bangladesh Ordinance.
  • πŸ“œ
    International Transfers via SCCsStandard Contractual Clauses (Asante Model) approved by the Information Commissioner bridge jurisdictional gaps across Dhaka, Singapore, and Colombo β€” ensuring identical standards of protection in all regions.
7

Legal Terms: Limitations of Liability and Indemnity

FCPL balances technical innovation with robust risk management across all operating jurisdictions.

JurisdictionLiability Position
πŸ‡¦πŸ‡Ί AustraliaLiability caps strictly subject to non-excludable statutory guarantees under the Australian Consumer Law (ACL).
πŸ‡ΈπŸ‡¬ Singapore & Other RegionsLiability limited to the value of the service contract in place.
Third-Party Infrastructure: As a reseller and partner, FCPL explicitly excludes liability for upstream provider outages or infrastructure failures originating from Google Cloud, Microsoft Azure, or other third-party backbone providers beyond our direct control.

FCPL is not liable for indirect, incidental, or consequential damages resulting from service interruptions or data-subject errors.

8

User Rights and Contact Information

We empower data subjects to manage their digital rights across all regions of operation.

πŸ‘οΈ
Right to Access
All Regions
✏️
Right to Rectification
All Regions
🚫
Right to Object / Withdraw
All Regions
πŸ“¦
Right to Portability
BangladeshSingaporeAustralia
πŸ›‘οΈ
Right to Prevent Processing
Bangladesh Β§16
πŸ—‘οΈ
Right to Erasure
Bangladesh Β§15
πŸ‡±πŸ‡°
Sri Lanka
Global Head Office
3rd Floor, No 459, Nawala Road,
Rajagiriya, Sri Lanka
πŸ‡§πŸ‡©
Bangladesh
Regional Office
Rahman Mansion (Level 2),
161 Motijheel C/A, Dhaka 1000
πŸ‡ΈπŸ‡¬
Singapore
Regional Office
10 Anson Road, #31-03
International Plaza, Singapore 079903
πŸ“’

Notice of Change

FCPL reserves the right to update this policy to reflect the evolving regulatory landscape, including future directives under the Bangladesh Personal Data Protection Ordinance 2025. Continued use of services after such updates constitutes acceptance of the modified terms.

info@fcpl.biz
Singapore
10 Anson Road, #31-03 International Plaza
Singapore 079903
+65 9688 7834
Bangladesh
Rahman Mansion (Level 2), 161 Motijheel C/A
Dhaka 1000, Bangladesh
+880 1713-366173
Sri Lanka
3rd Floor, No 459, Nawala Road
Rajagiriya, Sri Lanka
+94 712 326 326