monetra.trade

Privacy & cookie policy

Effective 2 September 2026 · Covers monetra.trade, the platform and served advertising

Controller: Montera Trade Ltd, Craigmuir Chambers, Road Town, Tortola VG1110, British Virgin Islands. Privacy contact: privacy@monetra.trade. EU/UK representative appointed under Article 27 GDPR: available on request. We process personal data under the BVI Data Protection Act 2021 and, where our advertising reaches users in those regions, the EU and UK GDPR.

1. Data we process

Category
Purpose & basis
Retention
Account & contact details of client staff
Operating the platform — contract
Account + 24 months
KYC documents, beneficial-owner data, sanctions screening results
AML/CTF and sanctions compliance — legal obligation
7 years after exit
Ad-request data: IP address, user agent, GEO, device, publisher zone
Serving and capping ads, fraud prevention — legitimate interests / consent where required
IP 30 days; aggregates 25 months
Push subscription endpoints (via publishers)
Delivering push campaigns — consent obtained by the publisher
Until unsubscribe + 30 days
Conversion postbacks (hashed click ID, event, value)
Attribution and optimisation — contract with the advertiser
25 months
Payment & wallet data, transaction hashes
Funding, payouts, accounting — contract / legal obligation
7 years

We do not knowingly process special-category data, and we do not build interest profiles that infer health, religion, sexuality or political opinion.

2. How we obtain visitor data

Almost all visitor data reaches us as part of an ad request from a publisher site or from an SSP. The publisher is responsible for obtaining consent where consent is required, including a valid TCF signal in the EEA and UK. Where no valid legal basis is signalled, we serve non-personalised, frequency-capped advertising only.

3. Cookies and similar technology

On monetra.trade we use a strictly necessary session cookie, a CSRF token, and a first-party analytics cookie you can decline in the banner. In ad delivery we use a first-party impression-capping identifier with a 30-day lifetime and a click identifier passed to advertiser trackers.

We do not operate a cross-site identity graph, do not sync IDs with data brokers, and do not sell or share personal information as those terms are defined by the CPRA.

4. Recipients

  • Advertisers and publishers — aggregate performance reporting; zone and campaign identifiers, not visitor identities
  • Infrastructure and CDN providers in the EU, US and Singapore
  • Anti-fraud and device-integrity vendors, acting as processors
  • Payment processors, crypto payment providers and our auditors
  • Regulators, law enforcement and courts where legally compelled

International transfers rely on EU standard contractual clauses with the UK Addendum, or on adequacy where available. A copy of the transfer mechanism is available on request.

5. Automated decision-making

Bidding, frequency capping and fraud scoring are automated. Fraud scoring can result in an ad request being discarded or a publisher account being suspended; suspensions affecting a business account are reviewed by a person on request. No automated decision produces a legal effect on an individual consumer.

6. Your rights

Depending on where you live you may request access, correction, deletion, restriction, portability, withdrawal of consent, and objection to processing based on legitimate interests, and you may opt out of targeted advertising. Write to privacy@monetra.trade — we reply within 30 days.

To stop seeing our push campaigns, remove notification permission for the site that asked for it in your browser settings; the subscription is deleted from our systems at the next delivery attempt. Because ad-request data is not linked to a name, we may need the approximate time, GEO and publisher site to locate records.

7. Children

Our services are strictly for adults. We do not knowingly process data about anyone under 18, and campaigns in gambling and financial verticals are excluded from inventory identified as being directed at minors. Report a concern to compliance@monetra.trade.

8. Security

TLS 1.3 in transit, AES-256 at rest, tokenised payment credentials, hardware-key two-factor authentication for staff, quarterly access reviews and annual third-party penetration testing. Breach notification to affected clients and regulators follows the timelines set by applicable law, and within 72 hours where GDPR applies.

9. Changes

Material changes are announced in-platform and by email at least 14 days before taking effect. The effective date at the top of this page reflects the current version; previous versions are archived and available on request.