Loading...
Last updated: May 5, 2026
FuseIQ is operated by ABBASI GLOBAL LTD / NEXGEN TRADING LLC — Registered in United Kingdom. Our registered address is 71-75 Shelton Street, Covent Garden, London, WC2H 9JQ, United Kingdom.
Abbasi Global Ltd is the data controller responsible for your personal data under applicable data protection laws, including the UK GDPR and EU GDPR.
Payment processing services are provided by NexGen Trading LLC, registered in Florida, USA.
We collect the following categories of information:
We use the information we collect to:
Under UK GDPR and EU GDPR, we process your personal data under the following lawful bases:
No Special Categories: We do not intentionally process Special Categories of personal data (Art. 9 — race, religion, health, biometrics, etc.) and our systems are not designed to collect such data. You should not submit Special Categories of data through the Platform.
We implement industry-standard security measures including AES-256-GCM encryption, secure data transmission via TLS 1.2+, role-based access control (RBAC), multi-factor authentication (MFA), 24/7 system monitoring, and an incident response plan. Your API keys and sensitive configuration data are encrypted at rest.
FuseIQ uses the following categories of cookies and similar tracking technologies:
You may manage your cookie preferences at any time via the cookie settings panel. For a detailed list of cookies, their purpose, and duration, please see our Cookie Policy (available on request). FuseIQ does not sell your personal data for any purpose.
We retain your personal data only for as long as necessary to fulfil the purposes described in this Policy, subject to our legal obligations:
| Data Category | Retention Period |
|---|---|
| Account Information | Duration of account + 30 days post-closure |
| Billing / Payment Records | 7 years (UK/EEA tax compliance) |
| Agent Execution Logs | 90 days unless archived by user |
| Support Correspondence | 3 years from last contact |
| Usage Analytics (aggregated) | 3 years |
After the applicable retention period, data is securely deleted or anonymized. You may request earlier deletion of your data by contacting us.
The Platform integrates with third-party providers for essential services. These include:
Your use of these integrations is subject to their respective privacy policies and terms.
Where we transfer your personal data to countries outside the UK or European Economic Area (including the United States), we ensure appropriate safeguards are in place. These include the UK International Data Transfer Addendum to the EU Standard Contractual Clauses (2021) and Transfer Impact Assessments (TIAs) for each transfer. You may request a copy of these safeguards by contacting privacy@fuseiq.io.
Under applicable data protection law, you have the following rights:
Submit requests to privacy@fuseiq.io. We will respond within one month of verifying your identity. For complex or multiple requests, this may be extended by up to two additional months, with notice.
Complaints:If you are unsatisfied with our response, you have the right to lodge a complaint with the Information Commissioner’s Office (ICO) in the UK at ico.org.uk or your local EU data protection authority.
If you are a California resident, the California Consumer Privacy Act of 2018, as amended by the California Privacy Rights Act (CCPA/CPRA), grants you additional rights:
To exercise your CCPA/CPRA rights, contact privacy@fuseiq.io with the subject line “CCPA Request.” We will verify your identity before processing your request. You may designate an authorized agent to make a request on your behalf.
FuseIQ is not intended for use by individuals under the age of 16. We do not knowingly collect personal data from children under 16. If we become aware that a child under 16 has provided us with personal data, we will take steps to delete that information. If you believe a child has provided us with personal data, please contact privacy@fuseiq.io.
In the event of a personal data breach, FuseIQ will notify affected users without undue delay and in any event within 48 hours of becoming aware of the incident. Notification will include the nature of the breach, categories and approximate number of data subjects and records concerned, likely consequences, and measures taken or proposed. Where applicable, we will also notify the relevant supervisory authority in accordance with GDPR Art. 33.
For privacy-related questions, data subject requests, or inquiries about our data protection practices: