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L-05 / Financial-service users

FINANCIAL PRIVACY & GLBA NOTICE

This notice describes practices for nonpublic personal information and the financial products or services that may be subject to the Gramm-Leach-Bliley Act (“GLBA”) or similar financial-privacy requirements. Applicability depends on the service, relationship, role, and law.

Last updatedAugust 31, 2026
EffectiveAugust 31, 2026

Reading note

This document governs the activity it describes. Product copy, calculators, educational pages, and summaries do not replace it. Third-party providers apply their own agreements and privacy practices.

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Scope and Relationship

FuteurCredX provides business-credit technology, information, and a marketplace that may connect businesses with third-party financial providers. We are not the lender making a financing decision. A provider’s own privacy notice governs its separate collection, underwriting, servicing, and funding activity.

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Information Covered

Depending on the service, nonpublic personal information may include information provided to request a financial product or service, resulting from a transaction, or otherwise obtained in connection with providing that product or service.

  • 2.1Names, contact details, dates of birth, and government identifiers
  • 2.2Business names, tax identifiers, ownership, and operating information
  • 2.3Credit reports, scores, tradelines, payment history, and risk indicators
  • 2.4Bank-account, balance, statement, and transaction information
  • 2.5Application, provider, offer, decision, and servicing information
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Why We Collect and Disclose It

  • 3.1Provide, verify, secure, and support a requested product or service
  • 3.2Obtain credit information under an applicable authorization or legal basis
  • 3.3Match or transmit a request to participating providers
  • 3.4Prevent fraud and satisfy legal, regulatory, audit, or recordkeeping duties
  • 3.5Use service providers for hosting, authentication, verification, analytics, communications, payments, or document processing
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Parties That May Receive It

Information may be disclosed to participating financial providers, credit-reporting agencies, identity and fraud services, bank-data and document processors, hosting and security vendors, professional advisers, regulators, law enforcement, or parties to a business transaction, in each case for a permitted purpose and subject to applicable restrictions.

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Choice and Opt-Out Rights

GLBA opt-out rights apply to certain disclosures to nonaffiliated third parties and contain exceptions, including disclosures needed to process or service a requested transaction. FuteurCredX does not sell personal information for money. Some privacy laws define “sale” or “sharing” more broadly. To ask whether an opt-out applies to your relationship or to submit a request, email data@futeurcredx.com. We may verify identity and authority.

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Safeguards

Where required, we maintain an information-security program designed to protect covered information. Safeguards are selected based on risk and may include governance, risk assessment, access control, authentication, encryption, monitoring, secure development, incident response, continuity planning, personnel training, and service-provider oversight.

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Credit Reports and FCRA

The Fair Credit Reporting Act separately governs consumer reports and permissible purposes. The disclosure or authorization presented before a report is requested controls the parties, purposes, report type, and expected inquiry behavior. Inaccurate bureau information generally must be disputed with the bureau or data furnisher.

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Updates and Contact

We may update this notice as services, roles, or legal requirements change. Questions may be sent to data@futeurcredx.com or legal@futeurcredx.com.

Document contact / official record

Questions belong with the team responsible for the paper.

FuteurCredX Inc. · 17 State Street, FL 40 · New York, NY 10004 · United States