Last Updated: September 8, 2026
This notice explains the processing of personal data when you use RSS to Discord at https://rss2discord.naxey.dev. The controller is Maximilian Philipp Hoffmann, trading as Fentekk, Maximilian Philipp Hoffmann
Schäfflerbachstr. 23a
86153 Augsburg
Germany. Contact: legal@fentekk.com.
We may collect information that you provide directly to us, such as:
When you use our Service, we may automatically collect:
We use the information we collect to:
We may share your information in the following situations:
The following services are used for the purposes described below.
Vercel Inc. hosts the website and processes request data such as IP addresses, browser information and access times to deliver content and maintain security. Our basis is the legitimate interest in providing a reliable, secure website (Article 6(1)(f) GDPR). Processing can take place in the United States. Vercel describes participation in the EU–US Data Privacy Framework in its privacy notice.
Convex, Inc. provides database hosting and backend functions. It processes the data needed for the features described in this notice, together with technical request and function metadata. Our basis for necessary service delivery and security is Article 6(1)(f) GDPR. Convex's published DPA provides for EU Standard Contractual Clauses (Module Two) for covered transfers without an adequacy decision. See also Convex's privacy notice.
The configured Convex deployment region is United States. A deployment region does not exclude processing or support access from other countries.
We use Discord OAuth to sign you in and receive your Discord user ID, username and avatar to identify your account. See Discord's privacy policy.
We disclose personal data to public authorities where a legal obligation requires it (Article 6(1)(c) GDPR).
We implement appropriate technical and organizational security measures to protect your personal information against unauthorized access, alteration, disclosure, or destruction.
We retain personal data for as long as needed for the stated purpose. Technical records are retained as needed to deliver the service, investigate errors and security incidents, and meet applicable legal obligations. Contact correspondence is retained until the enquiry is resolved and any applicable statutory retention or legal-claim requirements end. Provider-specific retention depends on the processing and enabled services; no single deletion period applies to every record.
Subject to the conditions of the GDPR, you may request access, rectification, erasure, restriction of processing and data portability. You may object to processing based on legitimate interests for reasons relating to your particular situation. Where processing relies on consent, you may withdraw it at any time without affecting the lawfulness of earlier processing. Contact legal@fentekk.com to exercise your rights.
You may complain to a supervisory authority, in particular in the EU Member State of your habitual residence, place of work or the alleged infringement.
The providers identified in this notice may process data outside the European Economic Area, including in the United States. EU data-protection law requires an applicable adequacy decision or appropriate safeguards for such transfers. The provider sections describe the published transfer arrangements; information about relevant safeguards and copies can be requested at legal@fentekk.com.
Our Service is not intended for children under 13 years of age. We do not knowingly collect personal information from children under 13.
We may update our Privacy Policy from time to time. We will notify you of any changes by posting the new Privacy Policy on this page and updating the "Last Updated" date.
If you contact legal@fentekk.com, we process your email address and message to answer your enquiry. The basis is our legitimate interest in responding to enquiries (Article 6(1)(f) GDPR), or Article 6(1)(b) GDPR for enquiries relating to a contract.