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PRIVACY

Data Retention & Deletion

Retention schedule, legal holds, backup deletion timelines, trial expiry, data exports and tenant offboarding.

Version
1.0
Last updated
October 10, 2026
Reading time
2 min

Noxtill LLC · Data Retention & Deletion · Version 1.0 · noxtill.com/legal/data-retention

AT A GLANCE

  • Data classification

    Maintain a live retention schedule by account, CRM record, booking, order, financial ledger, audit trail, message, call recording, transcript, image scan, website asset, consent proof, AI prompt/output, billing…

  • Trial account timing

    A 14-day no-card trial moves to 72-hour activation grace; thereafter suspended, then provides a 30-calendar-day data export and recovery opportunity before eligible active records may be deleted.

  • Account exit

    Give authorized owners a structured export in reasonable interoperable formats where technically feasible, with audit of export scope, requester, timestamp, encryption, availability and expiration.

  • Backups

    Production must maintain validated backup lifecycle, selective-restore ability where offered, restricted access and documented expiry.

Trial and account lifecycle

Simulation · your account dates come from our servers
  1. Day 1–14

    Free trial

  2. Next 72 hours

    72-hour grace

  3. 30-day export window

    Suspended

  4. After the export window

    Deletion eligible

You can

  • Use plan features within trial limits
  • Use up to 200 AI credits
  • Upgrade at any time

Paused or unavailable

  • Paid calling, paid SMS and marketing campaigns

Retention schedule, legal holds, backup deletion timelines, trial expiry, data exports and tenant offboarding.

Maintain a live retention schedule by account, CRM record, booking, order, financial ledger, audit trail, message, call recording, transcript, image scan, website asset, consent proof, AI prompt/output, billing event, log and backup. Statutory accounting, fraud and litigation preservation exceptions require case-specific authorization.

A 14-day no-card trial moves to 72-hour activation grace; thereafter suspended, then provides a 30-calendar-day data export and recovery opportunity before eligible active records may be deleted. Do not promise deletion of every copy immediately or guarantee recoverability beyond the archive window.

Give authorized owners a structured export in reasonable interoperable formats where technically feasible, with audit of export scope, requester, timestamp, encryption, availability and expiration. Notify of records that cannot lawfully be deleted and their limited purpose.

Data classification

Maintain a live retention schedule by account, CRM record, booking, order, financial ledger, audit trail, message, call recording, transcript, image scan, website asset, consent proof, AI prompt/output, billing event, log and backup. Statutory accounting, fraud and litigation preservation exceptions require case-specific authorization.

Trial account timing

A 14-day no-card trial moves to 72-hour activation grace; thereafter suspended, then provides a 30-calendar-day data export and recovery opportunity before eligible active records may be deleted. Do not promise deletion of every copy immediately or guarantee recoverability beyond the archive window.

Account exit

Give authorized owners a structured export in reasonable interoperable formats where technically feasible, with audit of export scope, requester, timestamp, encryption, availability and expiration. Notify of records that cannot lawfully be deleted and their limited purpose.

Backups

The public Privacy Policy should remain understandable; this more detailed matrix can live in the Trust Center or DPA annex.

Data classRecommended policyNotes
Active Customer ContentSubscription termCustomer controls data subject to module/legal limits
Expired trial / unpaid suspended workspace30-day recovery/export targetEngineering must confirm before publication
BackupsUp to 90-day rolling deletion targetNot used for ordinary live processing
Security/audit logsRisk-based period, commonly 12–24 monthsExact period approved by Security/Legal
Billing/transaction/tax referencesLegally/payment-provider required periodAvoid storing full card data
Support ticketsOperational + dispute/security periodMinimize sensitive attachments
Marketing suppressionAs long as needed to honor opt-outMinimal identifier + evidence
Consent evidencePermission/dispute periodImmutable version/source/timestamp
Call recordings/transcriptsCustomer-configured, jurisdiction-awareDefault to minimization
Applicant/HR/payrollCustomer-determined under employment lawNoxtill processor role
eSign evidenceCustomer/legal retention requirementEvidence may outlive editable document
AI prompts/outputsCustomer-configured/product necessityMinimize provider retention

A deletion workflow should distinguish:

  • active canonical record deletion;
  • soft-deletion/recovery period;
  • legal hold;
  • provider/subprocessor deletion request;
  • backup expiry;
  • anonymized/aggregated analytics that no longer identify a person; and
  • audit/security records lawfully retained.

Noxtill should never claim “deleted instantly everywhere” if backup/vendor cycles make that untrue.

Questions about this document: support@noxtill.com · Privacy: privacy@noxtill.com · Noxtill LLC, 4539 N 22nd St, Ste R, Phoenix, AZ 85016, United States.

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