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Anti Spam Policy
Terms of Service
Legal and Compliance
Privacy Policy
Risk Disclosure
Cookies Policy
Anti Spam Policy

At Deep Blue, we are committed to maintaining a responsible and respectful relationship with our users. This Anti-Spam Policy outlines our approach to electronic communications and our commitment to combating spam.

Our Commitment

  1. Compliance with Legislation: We adhere to international anti-spam legislation and industry best practices. These require informed, opt-in consent for receiving commercial electronic messages, a clear unsubscribe option for recipients, and proper identification of message senders.
  2. Consent-Based Communication: We require your explicit consent to communicate with you electronically. This consent allows us to establish and maintain a responsible commercial relationship with you.

Purposes of Communication

When you provide consent, you allow us to communicate with you for the following purposes:

  1. To understand your needs and eligibility for our products and services
  2. To recommend particular products, services, and opportunities
  3. To provide information about developments and new products, including changes and enhancements to the Site
  4. To develop, enhance, and market our products and services
  5. To conduct surveys and obtain feedback
  6. To deliver products and services
  7. To provide news and other matters of general interest to you as a customer
  8. To meet our legal and regulatory requirements

Your Control

  1. Opt-Out Option: Every commercial electronic message we send will include a clear and prominent unsubscribe mechanism.
  2. Prompt Processing: We commit to processing opt-out requests promptly, typically within 10 business days.

Our Practices

  1. No Purchased Lists: We do not purchase or rent email lists for marketing purposes.
  2. No Harvesting: We do not harvest email addresses from public sources for marketing purposes.
  3. Accurate Sender Information: All our electronic communications will clearly identify Deep Blue as the sender.

Reporting Spam

If you believe you have received spam from Deep Blue, please report it immediately to legal@deepblue.to. We take these reports seriously and will investigate promptly.

Policy Updates

We may update this policy from time to time to reflect changes in our practices or relevant laws. We encourage you to review this policy periodically.

By using our services, you acknowledge that you have read and understood this Anti-Spam Policy. If you have any questions about our anti-spam practices, please contact us at legal@deepblue.to

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A purchase of stablecoins is only suitable for financially sophisticated purchasers who are capable of evaluating the merits and risks of such a purchase and who have sufficient resources to be able to bear any losses which may result from that purchase. Prospective holders of stablecoins are strongly advised to conduct their own due diligence including, without limitation, the legal, tax and financial consequences of purchasing any stablecoins. Stablecoins are not risk-free and are subject to market volatility, market confidence and adoption, demand and supply, and market liquidity. Anyone issuing cryptographic coins or tokens (including stablecoins) through a Jersey company will require a specific consent (a "COBO Consent") under the Control of Borrowing (Jersey) Order 1958 from the Jersey Company Registry, part of the Jersey Financial Services Commission (the "JFSC"). Whilst the holding of a COBO Consent does not give the coin/token or the issuer a ‘regulated’ status, it mandates a set of conditions designed to ensure that the issuer meets specific standards in terms of governance, investor disclosure and AML/CFT compliance. The JFSC has issued a COBO Consent to Deep Blue Limited in relation to the stablecoins known as DBUSD reflecting those conditions. The JFSC is protected by the Control of Borrowing (Jersey) Law 1947, as amended, against liability arising from the discharge of its functions under that Law.

Deep Blue Limited's services in the UK are only available for exempted customers specifically, High Net Worth Companies/FCA regulated firms