Crene, Inc. is a Delaware corporation with its principal place of business in California. For the personal data described in this policy, Crene is the data controller (GDPR, UK GDPR) and the business (CCPA / CPRA).
Privacy contact: support@crene.com
An EU representative and a UK representative will be designated upon onboarding of the first controller customer for which one is required. Until then, EU and UK data subjects may reach Crene directly at the email above.
Crene serves institutional users. We do not collect personal data from consumers in a personal entertainment context. The categories below describe what is collected from business users and visitors to the platform.
Crene does not knowingly collect special category data under GDPR Article 9 (race, political opinion, religion, health, biometrics, etc.), and we ask users not to submit such data through forms or support channels.
We use the categories above for the following purposes:
Crene does not sell personal data. Crene does not use personal data submitted through inquiry forms, account data, or API request payloads to train AI models. The underlying frontier AI models that generate probability forecasts (Claude, GPT, Gemini, Grok) are queried with depersonalized event and factor questions; they do not receive customer personal data as part of normal operation.
For data subjects in the European Economic Area, the United Kingdom, or Switzerland, the lawful bases under Article 6 GDPR (and the equivalent UK GDPR provisions) are:
We share personal data only with the following categories of recipients:
Crene does not sell personal data and does not share personal data with advertising networks for cross-context behavioral advertising.
Crene operates from the United States. Personal data of EU, UK, and Swiss data subjects may be transferred to and processed in the United States and other jurisdictions outside the EEA / UK.
For such transfers, Crene relies on the Standard Contractual Clauses adopted by the European Commission (Decision 2021/914) and the UK International Data Transfer Addendum, supplemented by appropriate technical and organizational measures. Where a recipient is certified under an adequacy framework recognized by the European Commission or the UK government (for example, the EU US Data Privacy Framework), Crene may also rely on that framework as a transfer mechanism.
A copy of the SCCs / IDTA used for a specific processing activity is available on request to support@crene.com.
We retain personal data only for as long as necessary for the purposes described in this policy.
If you are a data subject in the European Economic Area, the United Kingdom, or Switzerland, you have the following rights, subject to applicable conditions and exceptions:
To exercise these rights, email support@crene.com. We respond within one month, extendable by two months for complex requests as permitted by GDPR Article 12(3).
If you are a California resident, the California Consumer Privacy Act as amended by the California Privacy Rights Act gives you the following rights:
To exercise these rights, email support@crene.com with "California Privacy Request" in the subject line. We will verify your identity before fulfilling the request. You may designate an authorized agent in writing.
Categories of personal information collected and disclosed for business purposes in the preceding 12 months are described in Sections 2 and 5 above.
The platform uses three categories of cookies and similar identifiers:
You may control cookies through your browser settings. Where applicable consent law requires it, Crene will surface a consent control before non-essential cookies are set.
Crene applies industry standard technical and organizational measures, including encryption in transit (TLS), encryption at rest where supported by the underlying storage, role-based access controls, principle-of-least-privilege for staff access, structured logging, and incident response procedures.
No system is perfectly secure. Crene will notify affected data subjects and the relevant supervisory authorities of personal data breaches in accordance with applicable law, including GDPR Article 33 and Article 34, UK GDPR equivalents, and applicable US state breach notification laws.
Crene does not use personal data to make decisions that produce legal effects on individuals or similarly significantly affect them within the meaning of GDPR Article 22. The probability forecasts Crene produces concern macroeconomic, market, and policy events; they are not individual scoring decisions.
The service is intended for use by businesses and adults in a professional capacity. The service is not directed to children, and Crene does not knowingly collect personal data from individuals under 16. If you believe a child has provided personal data, contact support@crene.com and we will delete it.
Crene may revise this policy. Material changes will be posted on this page with an updated date, and where required by law we will provide additional notice. Continued use of the service after a revision constitutes acknowledgement of the changes.
Crene, Inc.
Delaware corporation, principal place of business in California.
Privacy email: support@crene.com
See also the Terms of Service.