Ethics Policy

 

QuickConnect is committed to the highest ethical standards in our everyday performance and corporate culture. To take pride in the work we do, we must do our work honestly, fairly, and transparently. Fairness, clarity and integrity are among our core values.

 

Fairness :

 

All of us here at QuickConnect have a total devotion to a strong sense of fair play and the need to accurately represent all those members who wish to use our services. We do not disclosed any information about our members or their use of our services wit any other member and all members are treated with an even-handed approach. Annonomous and autonamous are the reasons why our members use our services so that potential users do not take up too much of their time. Therefore, we have designed our products with the clear goal of providing a private service to our members and users.

 

Advertising :

 

All advertising content, ADS, and sponsor links are clearly labeled and distinguished from the other content. The following labels are used where and when applicable : a) advertisement; b) sponsors or sponsored links; and c) ads. We do not accept illegal advertisements or any advertisement that QuickConnect feels is inappropriate, objectionable or in bad taste - completely at our own discretion.

 

Children's Online Privacy Protection Act (COPPA) :

 

The Children's Online Privacy Protection Act of 2000, applies to the online collection of personal information from children under 13. The law spells out what a website operator must include in a privacy policy, when and how to seek verifiable consent from a parent, and what responsibilities an operator has to protect children's privacy and safety online.

 

QuickConnect is committed to adhering these regulations and we will report all matters of concern to the proper authorities. All members are prohibited to seek identifiable information about a child online, such as full name, home address, email address, telephone number or any other information that would allow someone to identify or contact the child. This also includes indirect methods such as hobbies, interests and information collected through cookies or other types of tracking mechanisms - when they are tied to individually identifiable information.

 

If any of the staff or managers of QuickConnect see evidance or are informed of such behavior, will immediately investigate and/or inform the FTC to bring enforcement actions and (if applicable) impose civil penalties for violations of the Rule in the same manner as for other Rules under the FTC Act.

 

You also may contact the FTC or write Consumer Response Center, Federal Trade Commission, 600 Pennsylvania Avenue, NW, Washington, DC 20580.

 

Compliance of Law :

 

At all times, QuickConnect's policy is to stay within all state, federal, and international laws, including rules and regulations of the countries, states or other jurisdictions in which we operate. It is our policy to co-operate fully with relevant public authorities and regulatory bodies as appropriate.

 

The senior management team of each of our operating units and regional offices is responsible for ensuring that legislation is complied with and that requirements are appropriately communicated to and enforeced throughout our corporation.

 

All QuickConnect employees have the right and the responsibility to resolve uncertainties about ethical standards and questions or compliance with applicable laws.

 

 
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