Application summary
- Application: Eduaroo: Tablas de Multiplicar (Eduaroo: Multiplication Tables)
- Android package:
com.archivados.multiplication.table.kids - Audience: children under 13, mainly ages 6 to 12, and their families
- Controller: Archivados Network S.L.
- Last updated: July 30, 2026
1. Purpose and scope
This policy clearly explains how information is handled when using Eduaroo: Tablas de Multiplicar (Eduaroo: Multiplication Tables, the “App”). The App is an educational tool for learning and practicing multiplication tables. It is intended for children under 13, mainly ages 6 to 12, and their families.
The App has no accounts, sign-in, public profiles, proprietary backend, chat, or social features. It does not allow children to publish content, share data with other users, or contact strangers.
2. Identity of the data controller
Where Archivados Network S.L. determines the purposes and means of processing, the controller is:
- Legal name
- Archivados Network S.L.
- Spanish tax ID (CIF)
- B-73770729
- Postal address
- CALLE AIRE (LA PURISIMA-BARRIOMAR) (ALJUCER) 33, 30010 Murcia, Spain
- Privacy email
- nicolas@archivados.com
Google and Apple may act as independent controllers for certain processing performed within their own services, under their respective policies.
3. How the App works and locally stored data
The following information is stored locally on the device:
- educational progress, completed tables, scores, results, and practice statistics;
- settings such as sounds, themes, or difficulty;
- activation status of the one-time paid Premium license; and
- the parental PIN configured by the family.
This local data is not sent to proprietary servers operated by Archivados Network S.L. The parental PIN is used locally for options identified by the App as parental; we do not claim that every purchase or external link is protected by that PIN.
The App does not store full purchase receipts locally. When Premium is purchased or restored, Google Play or the Apple App Store may temporarily process a receipt, token, or transaction identifier, while the App stores only the Premium status needed to enable its features.
4. Processing activities, purposes, and legal bases
The processing that may occur when the App is used is summarized below. The exact legal basis may vary by country and circumstances.
| Data categories | Purpose | Provider or recipient | Legal basis | Retention |
|---|---|---|---|---|
| Progress, results, statistics, preferences, Premium status, and parental PIN. | Provide and locally personalize the educational experience and remember settings. | The device only; Archivados Network S.L. does not receive this data through a proprietary backend. | Performance of the requested service and, where applicable, parental consent. We do not claim that the App currently requests such consent. | Until the family clears the data or uninstalls the App, subject to backups or restores managed by Android or iOS. |
| IP address, approximate location derived from IP, interactions, diagnostics, and permitted technical identifiers such as App Set ID. | Contextual advertising, basic measurement, diagnostics, security, and fraud prevention. | Google AdMob. | Legitimate interests, where legally permitted, for technical delivery, security, fraud prevention, and strictly necessary diagnostics; compliance with legal obligations; or parental consent if required by law and obtained before processing. The App does not claim that it currently requests it. | According to the needs of the purpose and Google's criteria, settings, and applicable law. |
| Purchase status and, temporarily, a receipt, token, or transaction identifier and anti-fraud technical data. Full payment details are not provided to the developer. | Process, validate, and restore the one-time paid Premium license; support, security, and fraud prevention. | Google Play Billing or Apple App Store; the App receives the necessary confirmation. | Performance of a contract for Premium purchases and restoration; legitimate interests, where applicable, for security and fraud prevention; and compliance with legal obligations. | Premium status on the device while needed; stores: under their policies and applicable legal, tax, accounting, and anti-fraud periods. |
| Email address and content voluntarily provided when contacting us, including data in a rights request. | Answer questions, provide support, and handle rights requests or complaints. | Archivados Network S.L. and, only where necessary, its communications providers. | Legitimate interests in responding; contractual performance when a question concerns the service; and compliance with legal obligations for rights requests. | For the time needed to respond and afterwards for applicable statutory limitation or legal retention periods. |
We do not rely on parental consent unless it is validly requested where required by law. If a future feature requires such consent, information will be provided before that feature is activated.
5. Contextual advertising through Google AdMob
The free version uses Google AdMob to display ads during natural breaks, such as after a round ends. Premium users do not receive advertising in the App.
Child-directed configuration
Ad requests are configured for child-directed treatment, with exclusively contextual, non-personalized advertising and a maximum G content rating. There is no remarketing or behavioral advertising profiling.
AD_ID, use of the AAID, and permissions for Topics and Privacy Sandbox advertising services have been removed. This does not mean that no processing takes place: Google may collect or share the IP address, approximate location derived from the IP—not precise GPS location—interactions with the App or ads, diagnostics and errors, and permitted technical identifiers such as App Set ID.
This data may be used to deliver contextual ads, perform basic measurement, diagnose operation, maintain security, and prevent fraud or abuse. The App does not request access to precise GPS location, camera, microphone, contacts, or phone number, and does not use IMEI, IMSI, MAC address, BSSID, or SSID for children's advertising.
7. Children’s privacy and parent or guardian rights under COPPA
The App is designed for children under 13 and applies data minimization. It does not condition a child's participation on providing personal information that is not reasonably necessary to use the educational activity.
A parent or guardian may contact the developer to:
- request information about data processed in relation to the child;
- review that data or request its deletion, where applicable;
- prevent its future collection or use;
- refuse to provide personal information that is unnecessary; and
- ask questions or exercise rights relating to children's privacy.
Requests may be sent to nicolas@archivados.com. To protect the child, we may request reasonable information to verify the requester's identity and relationship to the child. Local data can be cleared directly from the device. For data independently controlled by Google or Apple, their privacy controls and channels may also be used.
8. Third-party providers
| Provider | Purpose | Data categories | Official policy |
|---|---|---|---|
| Google AdMob | Non-personalized contextual advertising, basic measurement, diagnostics, security, and fraud prevention. | IP and approximate location derived from it, interactions, diagnostics, and permitted technical identifiers such as App Set ID. | Google Privacy Policy |
| Google Play Billing | Process, validate, and restore Premium; security, fraud prevention, and store obligations. | Purchase status, temporary receipt, token or transaction identifier, and account and payment data processed by Google. | Google Privacy Policy |
| Apple App Store | Process, validate, and restore Premium; security, fraud prevention, and store obligations. | Purchase status, temporary receipt or transaction identifier, and account and payment data processed by Apple. | App Store & Privacy |
You can also read how Google uses data from apps that integrate its services in this official notice and the AdMob guidance for family-directed apps.
9. International data transfers
Google or Apple may process data in countries other than the user's country of residence, including outside the European Economic Area. Any international transfer will be subject to the applicable legal mechanisms and safeguards described by those providers and required by current law.
Archivados Network S.L. does not claim that a particular certification exists or that a single safeguard applies in every case. For current information about processing locations and mechanisms used, please review the official policies linked in the previous section.
10. Retention, deletion, and backups
We apply data minimization and retain information only for as long as necessary for the stated purposes or for periods required by law. Specific criteria are shown in the processing table.
- The family can clear local data through the App's storage settings on the device.
- Uninstalling the App removes its data from the device under the operating system's normal operation.
- Android or iOS may manage backups and restores according to the system and user settings; therefore, uninstalling does not guarantee immediate deletion of every backup copy.
- Google and Apple retain data they control according to their own criteria, controls, and legal obligations.
11. Security and data minimization
The App limits processing to information needed for its features. Educational data remains local, and communications with Google or Apple use encryption in transit through HTTPS/TLS when their services connect over the Internet. We seek to maintain technical and organizational measures proportionate to the risks, particularly because this is a children's app.
However, no device, system, external service, or Internet transmission can guarantee absolute security. Families should keep the device updated and protect access with the controls available in Android or iOS.
12. GDPR rights, complaints, changes, and contact
Where the General Data Protection Regulation applies, the data subject—or their legal representative—may exercise the rights of access, rectification, erasure, restriction of processing, portability, and objection, and may withdraw consent at any time where processing is based on consent. Withdrawal does not affect the lawfulness of processing carried out before it.
Requests should be sent to nicolas@archivados.com, stating the right to be exercised and the information needed to identify the request. We may request proportionate verification of identity or representation. We will respond within the applicable statutory period.
A complaint may also be lodged with the Spanish Data Protection Agency (AEPD) or, where appropriate, another competent supervisory authority.
We may update this policy to reflect legal, technical, or functional changes. We will publish the new version on this page and state its date. Last updated: July 30, 2026.
Archivados Network S.L. · Spanish tax ID (CIF) B-73770729
CALLE AIRE (LA PURISIMA-BARRIOMAR) (ALJUCER) 33, 30010 Murcia, Spain