Transparency Report
How many government and law-enforcement requests for user data Bailar has received, and what we disclosed — currently zero.
Effective Date: June 26, 2026
This is Bailar’s first Transparency Report. It discloses the number of requests Bailar, Inc. (“Bailar”) has received from governments and law-enforcement authorities for user data, and what we did in response. We intend to publish an updated report on a semi-annual basis.
Summary — as of June 26, 2026
As of the date above, and since Bailar began operating, Bailar has received zero (0) requests for user data from any government or law-enforcement authority, domestic or foreign, and has produced zero (0) units of user data to any such authority — including zero location data.
The numbers
Covering the period from Bailar’s inception through the Effective Date above:
- Government / law-enforcement requests received: 0
- Requests in which we produced any user data: 0
- User accounts affected by a request: 0
- Requests we challenged, narrowed, or rejected: 0 (none have been received to challenge)
- National-security process — National Security Letters and orders under the Foreign Intelligence Surveillance Act (FISA): 0 (see also our Warrant Canary)
- Emergency disclosure requests received: 0
- Emergency disclosures we made voluntarily: 0
- Preservation requests received: 0
- Location data produced to any government: 0
Because no requests have been received, every figure above is a true zero rather than a withheld or estimated number. If that ever changes, this report will state the real figure.
How this fits our policy
Bailar does not voluntarily provide user data — including location data — to any government. We disclose user information only when compelled by valid legal process that identifies a specific user and the data sought, and even then we review the request for legality, challenge requests we reasonably believe are unlawful or overbroad, disclose only the minimum information necessary, and notify affected users where we are not legally prohibited from doing so. The full commitments are set out in the Privacy Policy under “Government and Law Enforcement Requests,” and in plain language in our Privacy Pledge.
Mandatory child-safety reporting (counted separately)
Independent of any government request, United States law requires Bailar to report apparent child sexual abuse material (CSAM) to the National Center for Missing & Exploited Children (NCMEC) when it is detected. These mandatory reports are not government “requests for user data,” and they are not voluntary disclosures — they are a legal obligation that applies to all U.S. platforms. They are therefore counted separately from, and are not included in, the figures above. See our Child Safety Standards.
What data could be responsive
So that this report is meaningful, here are the categories of personal information Bailar holds that a lawful request could, in principle, seek (full detail in the Privacy Policy): account information (name, email, phone, date of birth); profile information; messages and their metadata; photos and media; payment records (Bailar does not store full card or bank numbers); booking and session history; precise or approximate location data; device information (Bailar collects no advertising identifiers); usage and log data; and data inferred through automated processing. To date, none of these categories — location included — has been produced to any government.
Methodology
A “request” means any demand or request for user data from a public authority — including domestic and foreign law enforcement, regulators, intelligence agencies, courts, and other governmental bodies — whether by subpoena, court order, warrant, emergency request, preservation request, or informal request. Consistent with our Privacy Policy, Bailar maintains an internal record of each such request, including the requesting authority, the legal instrument relied upon, the data categories disclosed or withheld, and the legal reasoning underlying our response. This report is compiled from that record. The reporting period runs from Bailar’s inception through the Effective Date; future reports will be published semi-annually and will state the figures for the period then ending.
Related
Warrant Canary · Privacy Pledge · Privacy Policy
Contact
Questions about this report, or service of legal process, may be directed to:
Bailar, Inc.
Attn: Legal
401 Ocean Dr, Suite 404
Miami Beach, FL 33139
United States
legal@bailar.site
Service of legal process must comply with applicable rules and may also be directed to the registered agent of Bailar, Inc. in Delaware.