EFFECTIVE: AUGUST 18, 2026 · 1.0
Cookie Policy
This policy explains how the AIOS Business website, owned and operated by Immunity Invest Holdings Plc., uses cookies and similar browser technologies. “Zrt.” is the Hungarian legal-form abbreviation; “Plc.” is the official foreign-language form used in the company name. Contact: support@aios-business.com.
1. What is a cookie?
A cookie is a small piece of data stored in the browser. It can help you log in securely, maintain your session, comment on your settings, or – with separate consent – measure or market.
2. The categories used
| Category | Target | Legal basis | Preservation |
|---|---|---|---|
| Required | Security, Login, Session, Load Balancing and Preservation of Cookie Choice. | Provision of the requested service and legitimate interest. | Work session or the time required for the technical purpose; the consent election until the next version of the policy. |
| Analytical | Aggregate usage and performance measurement. | Consent. | According to the service provider's setting; the exact duration is updated here before activation. |
| Marketing | Campaign measurement and personalized advertising. | Consent. | According to the service provider's setting; the exact duration is updated here before activation. |
Current status: AIOS Business does not load external analytical or marketing cookies. Their selectors are available so that they cannot be activated later without a prior decision.
3. Management of consent
Optional categories are disabled by default. You can accept them all, reject them or decide by category. Opting out is just as easy: use the "Cookie Settings" button at the bottom of the page.
4. Necessary technical storage
The choice is the browser's local storage aios_cookie_consent_v1 It is kept under the key, with version and date. Secure, HttpOnly, SameSite cookies can be used for login and protected folder sessions; their content cannot be read from a client-side script.
5. External service providers and data transfer
If an analytical or marketing service is activated later, its name, purpose, cookies, storage and possible international data transmission will be included in this policy before activation. The user receives a new consent if the change requires it.
6. Rights and Relationship
Consent can be withdrawn at any time, this does not affect the legality of previous data management. It is about your further rights In data management information You can read. Question: support@aios-business.com.
7. Global Territorial Rules
AIOS Business is available worldwide. By saving the choice, the user acknowledges this global Cookie Policy and gives his consent in accordance with the mandatory laws in force in his location. With the exception of the necessary cookies, the unified interface requires a prior, voluntary choice. This is a common minimum; additional territorial rights cannot be limited by any acceptance, and a mandatory local rule that is more favorable to the person concerned is always applicable.
| Country/Region | Different or additional requirement | AIOS application |
|---|---|---|
| EU/EEA and Hungary | ePrivacy and GDPR: prior, specific, informed, revocable consent is required for unnecessary cookies; pre-checked choice is not valid. | Optional categories disabled by default; rejection and withdrawal are always available. |
| United Kingdom | PECR and UK GDPR: unnecessary cookies require a clear positive decision in advance. | The EU/EEA strict setting is valid. |
| Switzerland | FADP and telecommunications rules: transparent information, objection and data protection rights. | Advance category selection and easy cancellation. |
| USA - California | CCPA/CPRA: the authorized user may request to stop the sale or targeted advertising sharing of the data; the GPC indication must be respected. | AIOS does not sell personal data; active GPC automatically disallows the marketing category. |
| USA - other state privacy laws | Colorado, Connecticut, Virginia, Utah, Texas, Oregon and other states may provide different access, erasure, rectification, portability and targeted advertising opt-out rights. | Request at support@aios-business.com; Marketing can be turned off at any time. |
| Canada | PIPEDA and provincial rules: substantive, intelligible consent; easy opt-out for behavioral advertising. | Layered information and selection by category. |
| Brazil | LGPD: transparency, purpose limitation and free consent for optional cookies; clearly visible rejection. | Rejection is achieved at the same level as acceptance. |
| Latin America | Argentina, Uruguay, Mexico, Colombia and other states provide information, access, rectification, erasure and objection rights. | Strict opt-in default and direct exercise address. |
| Australia and New Zealand | Privacy Act and Privacy Principles: transparent, targeted data management, access and rectification rights. | Optional tracking only after selection. |
| Japan and South Korea | APPI/PIPA: transparency, data minimization, strong stakeholder and transmission rules; the cookie identifier can be linked to a person. | No optional external transmission without consent. |
| Other parts of Asia | Singapore, Hong Kong, Taiwan, Thailand, Indonesia, Malaysia, the Philippines and India have separate consent, disclosure and transfer rules. | A strict global minimum and a mandatory local excess apply. |
| Africa | Laws in South Africa, Kenya, Nigeria and other states require legality, transparency, purposefulness and the right to object. | Optional cookies remain disabled until consent. |
| Middle East | The United Arab Emirates, Saudi Arabia, Qatar, Bahrain, Israel and other states have separate data protection and data transfer rules. | Data minimization and explicit optional selection. |
This list summarizes the main, different regulatory models, and does not replace the entire legislation of each country. If the mandatory rule of the user's location gives more rights than this, it is automatically preserved. Consent does not constitute a waiver of consumer or data protection rights.
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