Minimum first contact
The initial form asks only for enough context to understand the request and reply. Sensitive files are deliberately excluded.
Data & privacy
This notice explains how aydeğer handles personal data when you browse the public website, send an initial request or contact the legal operator. The first-contact flow is intentionally designed to avoid unnecessary sensitive data.
Data approach
The initial form asks only for enough context to understand the request and reply. Sensitive files are deliberately excluded.
Information moves to a specialist or partner only when the role, purpose and next step are clear. Submission alone is not permission to broadcast a request.
For inquiry rate limiting, the application uses an HMAC-based pseudonymous fingerprint instead of storing the raw IP address in the inquiry record.
Inquiry and operational records are kept only for as long as reasonably needed for the request, resulting service relationship, security, legal obligations or the establishment and defence of rights.
Osman Umur Aydeğer operates the aydeğer brand from Başakşehir Mah. Mehmet Akif Ersoy Cad. Hisardere 115C Blok No: 11C İç Kapı No: 2, Başakşehir / İstanbul, Türkiye. Privacy questions can be sent to aydegeer@gmail.com.
Name, email, optional phone, country, selected topic, your message, the privacy-notice version you acknowledged, its acknowledgement timestamp and limited anti-abuse technical data.
To understand and respond to the request, decide whether it is within scope, coordinate an agreed next step, maintain necessary operational records, protect the request channel from abuse, comply with legal obligations and establish, exercise or defend rights where necessary.
Checking the privacy-notice box records that the current notice was shown to you. It is not treated as blanket consent for advertising, unrelated processing, sensitive-data use or future activities. A separate activity that legally requires explicit consent must use a separate, specific choice.
Do not send passports, identity cards, health records, bank statements, payment-card data, passwords or other sensitive files through the initial request form. If a later step genuinely requires sensitive material, the purpose, recipient and secure channel should be defined first.
A request is not broadcast to outside providers. Information is shared with a specialist or partner only when there is a defined purpose and the relevant next step requires it. Infrastructure providers can process limited data to host, secure, authenticate and operate the service.
Some infrastructure providers can involve processing outside Türkiye. Where a cross-border transfer occurs, the applicable legal transfer mechanism and provider safeguards are assessed under the rules in force at that time.
Inquiry and operational records are kept only for as long as reasonably needed to handle the request, manage any resulting service relationship, meet legal obligations, protect security or establish and defend rights. Short-lived anti-abuse and delivery records follow shorter technical retention periods.
The website does not use solely automated processing to make a decision that produces a legal or similarly significant adverse effect on a person submitting an inquiry. The AI intake assistant may help structure a brief, but it does not make binding professional or eligibility decisions.
You can contact aydegeer@gmail.com or apply in writing to the registered business address. Identity may need to be verified before a request is fulfilled, and statutory application procedures may require a specific verified method.
KVKK
For Türkiye, Article 11 of Law No. 6698 provides the following rights in relation to your personal data: