U.S. State Privacy Notice

This Notice supplements the TPC Privacy Policy for residents of U.S. states whose applicable laws provide privacy rights. Nevada baseline duties apply to TPC. Coverage under other comprehensive state laws depends on verified thresholds, exemptions, consumer volumes, and actual practices. Terms such as personal information, personal data, consumer, sale, sharing, targeted advertising, and sensitive data have the meanings given by applicable law.

TPC reviews state-law applicability at least annually and when it materially expands into another state. The review considers current and preceding-12-month practices, applicable thresholds, exemptions, and consumer volumes; planned practices are not described as active.

1. Notice at collection

TPC may collect the categories below for the purposes summarized here. We retain each category under the criteria in the Privacy Policy's Retention section. We do not knowingly sell or share the personal information of consumers under 16. We do not use or disclose sensitive personal information to infer characteristics about a consumer.

TPC obtains these categories from you, your organization or ordering contact, automated technologies, service providers, business partners, and permitted public sources.

2. Sale, sharing, and targeted advertising

TPC does not sell personal information for money. A July 20, 2026 scan observed Google analytics/advertising tags and Meta advertising technology on parts of the public footprint. Depending on applicable law, certain transfers involving advertising technologies may be considered sale, sharing, or targeted advertising.

Google Ads, Meta, and other behavioral-advertising vendors are not active in the baseline launch. Any later activation requires an updated contract, data-flow, consent, GPC, assessment, notice, state-law classification, implementation, and testing review.

You may opt out using the site's Your Privacy Choices control or by sending a recognized opt-out preference signal such as Global Privacy Control. A qualifying signal rejects all nonessential tags and keeps advertising storage, advertising user data, advertising personalization, sale, sharing, and targeted-advertising uses denied. A qualifying signal is treated as a request for the browser or device that sends it and, where required and feasible, associated with your account. You may need to renew your choice if you use another browser/device or clear cookies.

TPC does not knowingly sell or share the personal information of consumers under 16.

3. Rights that may apply

Subject to state law, exceptions, and verification, you may request to:

We will not unlawfully discriminate against you for exercising a privacy right. A request may affect a Service if the information is necessary to provide it.

4. How to submit a request

Submit a privacy-rights request using one of these methods:

Requests route to TPC's CEO or a trained delegate and are handled through verification, secure-response, deadline, appeal, escalation, and vendor-propagation procedures.

Describe the right you wish to exercise and provide enough information for us to identify relevant records. Do not send passwords, payment-card numbers, government identifiers, or other highly sensitive data.

5. Verification and authorized agents

We will verify requests using information reasonably related to your interactions with TPC. The verification level will depend on the request's sensitivity. We will not require identification documents by default. We may ask for additional information when proportionate to the risk, and we will use it only to verify and respond to the request. If we cannot verify a request, we may deny it and explain why.

An authorized agent may submit a request where permitted. We may require proof of signed authorization and may ask the consumer to verify identity or confirm authorization directly, unless an applicable power of attorney or law provides otherwise.

6. Timing and appeals

TPC's internal target is to respond within 30 calendar days unless applicable law requires faster handling. Statutory periods and permitted extensions still control. California requests generally require confirmation within 10 business days and a substantive response within 45 calendar days, subject to extension. Nevada verified sale opt-out requests generally require a response within 60 days, subject to a permitted extension. Other states may use different periods.

If we deny a request and your law provides an appeal right, reply to our decision with the word Appeal. We will respond within the applicable period and explain any further complaint option.

7. California-specific disclosures

California residents may request the information described above for the preceding 12 months, subject to law. TPC does not offer a financial incentive or price/service difference in exchange for personal information unless a separate compliant notice is provided before enrollment.

California's "Shine the Light" law may permit certain residents to request information about disclosure of personal information to third parties for their own direct marketing. Contact us using the methods above and identify the request as "Shine the Light."

8. Nevada-specific disclosure

Nevada residents may submit a verified request directing TPC not to make a covered sale of covered information. TPC does not currently sell covered information for monetary consideration as that term is defined by Nevada law, but we will process qualifying requests as required.

9. Metrics and updates

TPC will maintain appropriate request records and publish metrics only if legally required. This Notice will be updated when practices, providers, or applicable laws materially change.

10. Contact

Total Promotion Company LLC
2450 Chandler Avenue, Suite 20
Las Vegas, Nevada 89120
brandon@totalpromotioncompany.com
702-823-5660