BuildTalk Privacy Policy

Buildtec Co., Ltd. (hereinafter referred to as the "Company") has the following guidelines for processing personal information to protect the personal information of data subjects and to facilitate the prompt and smooth handling of their grievances in accordance with the Personal Information Protection Act. This personal information processing policy applies to all services of Build Talk (hereinafter referred to as the service), and a separate personal information processing policy may apply to services provided by other services. When the company revises its personal information processing policy, it shall notify it through a service notice (or other notice).

Article 1 (Purpose of use and collection items of personal information)

The company collects and uses customers' personal information for the following purposes through mobile applications. The personal information being processed will not be used for any purpose other than the following, and if the purpose of use is changed, necessary measures such as obtaining separate consent in accordance with the Personal Information Protection Act will be implemented.

① Subscribe to and manage service membership
    Confirmation of membership intention and identification according to the provision of membership services. Personal information is processed for the purpose of authentication, maintenance and management of membership status, identity verification due to the implementation of a limited identification system, prevention of illegal use of services, various notices, notifications, and grievance handling, and for service users, ID and e-mail addresses are collected.

② Collection in the process of using the service
    - Access information (country of use, model, browser, access IP, date and time) is collected during the service use process.

③ Service deliver
    Personal information is processed for the purpose of providing services, providing contents, and providing customized services.

④ Grievance handling
    Personal information is processed for the purpose of identifying the complainant's identity, checking the complaint, contacting for fact-finding, notification, and notification of the processing result.

⑤ Utilize marketing and advertising
    Personal information is processed for the purpose of developing new services and providing customized services, providing event and advertising information and providing opportunities to participate, providing services and advertising based on demographic characteristics, verifying the validity of services, identifying access frequencies, or statistics on members' service use.

Article 2 (Period of retention and use of personal information)

The company is processing the following personal information items.

① Personal Information Item
    - Required items E-mail, login ID
    - Information service usage records, access logs, cookies, access IP information, and payment records automatically generated in the process of service use or business processing

② Collection method
    - When signing up for a service member / provided by the member directly for identification work

③ grounds for retention
    - Consent of members (Consent of legal representative when collecting personal information of children under the age of 14)

④ Retention period
    - Until the user's consent to personal information is withdrawn: Provided, That if there is a record of illegal use or suspected illegal use of members under the company's terms and conditions, the company shall keep and destroy it for three years from the time of collection, despite the withdrawal of the user's consent to personal information.

⑤ Despite the company's personal information processing policy, the information to be stored under the following relevant laws and regulations will be kept for a period prescribed by the law.
    1. Personal information related to service use (login record &member withdrawal)
        Preservation grounds: Communications Secret Protection Act
        Preservation period: 3 months
    2. Marking/Advertising Records
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 6 months
    3. Records on withdrawal of contracts or subscriptions, etc
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 5 years
    4. Record of payment and supply of goods, etc
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 5 years
    5. Records of consumer complaints or dispute settlement
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 3 years
    6. a record of electronic financial transactions
        Preservation grounds: Electronic Financial Transactions Act
        Preservation period: 5 years

⑥ After the purpose of collecting and using personal information is achieved, the company will destroy it without delay
However, if it is necessary to preserve it in accordance with the provisions of the relevant laws and regulations, the company shall keep personal information for a certain period of time instructed by the relevant laws and regulations.
    1) Record of contract or withdrawal of subscription, etc.: 5 years
    2) Record of payment and supply of goods, etc.: 5 years
    3) Record of Consumer Complaints or Dispute Resolution: 3 Years
    4) Log in to the Communications Secret Protection Act: 3 months

Article 3 (rights, obligations, and methods of exercise of data subjects)

As a personal data subject, users may exercise the following rights.

① The data subject may exercise the following rights related to personal information protection against the company at any time.
    - Request for access to personal information
    - Request correction if there is an error, etc
    - Request for deletion
    - Request for processing suspension

② The exercise of rights under paragraph (1) can be done to the company through written, telephone, e-mail, fax, etc., and the company will take action without delay.

③ If the data subject requests correction or deletion of errors in personal information, the company will not use or provide such personal information until the correction or deletion is completed.

④ The exercise of rights under paragraph (1) may be done through a legal representative of the data subject or a person delegated by a person, etc. In such cases, you must submit a power of attorney in accordance with attached Form 11 of the Enforcement Rules of the Personal Information Protection Act.

⑤ The data subject shall not infringe on the personal information and privacy of the data subject or others that the company is processing in violation of related laws such as the Personal Information Protection Act.

Article 4 (Destruction of Personal Information)

① The company will destroy the personal information without delay when it becomes unnecessary, such as the expiration of the personal information retention period and the achievement of the processing purpose.

② If the personal data retention period agreed by the data subject has elapsed or the purpose of processing has been achieved, but it is necessary to continue preserving it under other laws and regulations, the personal data shall be transferred to a separate database (DB) or stored in a different storage location.

③ The procedures and methods for destroying personal information are as follows.
    1) Abandonment procedure
    The company selects the personal information that caused the reason for destruction and destroys the personal information with the approval of the company's personal information protection manager.
    2) Method of destruction
    The company destroys personal information recorded and stored in the form of electronic files by using methods such as low level format so that records cannot be reproduced, and records it in paper documents. The stored personal information is destroyed by crushing or incineration with a shredder.

Article 5 (Measures to ensure the safety of personal information)

In accordance with Article 29 of the Privacy Act, the Company takes the following administrative, technical, and physical measures necessary to ensure safety.

① Technical countermeasures against hacking, etc
In order to prevent leakage and damage of personal information by hacking or computer viruses, the company installs security programs, periodically updates and inspects them, and installs systems in areas with controlled access from outside, and monitors and blocks them technically and physically.

② The company takes the following measures to ensure the safety of personal information.
    1) Management measures: Establishment and implementation of internal management plans, regular employee training, etc
    2) Technical measures: Management of access rights such as personal information processing systems, installation of access control systems, encryption of unique identification information, installation of security programs
    3) Physical measures: Access control of computer rooms, data storage rooms, etc

Article 6 (encryption of personal information)

As for the user's personal information, the password is encrypted, stored and managed, so only you can know, and important data uses separate security functions such as encrypting files and transmission data or using file lock functions.

Article 7 (Restriction on Access to Personal Information)

We take necessary measures to control access to personal information by granting, changing, and cancelling access to the database system that processes personal information, and use an intrusion prevention system to control unauthorized access from outside.

Article 8 (Personal Information Protection Officer)

① The company is in charge of handling personal information processing, and designates a person in charge of personal information protection as follows to handle complaints and remedy damages of data subjects related to personal information processing.

    [Personal Information Protection Officer
    ① Trade name: Buildtec Co., Ltd. (Business registration number: 161-86-01915)
    ② Person in charge: Kim Joo Ho
    ③ Address: Room 201 of E&C Dream Tower, 146 Seonyu-ro, Yeongdeungpo-gu, Seoul
    ④ Email: buildtec1@naver.com
        1) The data subject can contact the person in charge of personal information protection for all personal information protection inquiries, complaint handling, damage relief, etc. that occurred while using our service. The company will respond and process the information subject's inquiries without delay.
        2) The user is responsible for maintaining the security of the ID related to the user's personal information.
        3) Although the Company has taken possible technical remedial measures, it is not responsible for any damage to information caused by unexpected accidents caused by network risks such as hacking using advanced technologies

Article 9 (Matters concerning the operation of cookies)

① The company operates a "Cookie" that stores and finds users' information from time to time in order to provide specialized customized services to its members. The company identifies the user's computer but does not personally identify the user with regard to cookie management.

② Users have a choice of Cookies. Users can choose Tools >Internet Options >Security >Custom Level from their Web browser to allow all cookies, go through checks every time a cookie is saved, or refuse to save all cookies. However, if you refuse to save all cookies, you will not be able to use the company's services provided by the cookies.

Buildtec Co., Ltd. (hereinafter referred to as the "Company") has the following guidelines for processing personal information to protect the personal information of data subjects and to facilitate the prompt and smooth handling of their grievances in accordance with the Personal Information Protection Act. This personal information processing policy applies to all services of Build Talk (hereinafter referred to as the service), and a separate personal information processing policy may apply to services provided by other services. When the company revises its personal information processing policy, it shall notify it through a service notice (or other notice).

Article 1 (Purpose of use and collection items of personal information)

The company collects and uses customers' personal information for the following purposes through mobile applications. The personal information being processed will not be used for any purpose other than the following, and if the purpose of use is changed, necessary measures such as obtaining separate consent in accordance with the Personal Information Protection Act will be implemented.

① Subscribe to and manage service membership
    Confirmation of membership intention and identification according to the provision of membership services. Personal information is processed for the purpose of authentication, maintenance and management of membership status, identity verification due to the implementation of a limited identification system, prevention of illegal use of services, various notices, notifications, and grievance handling, and for service users, ID and e-mail addresses are collected.

② Collection in the process of using the service
    - Access information (country of use, model, browser, access IP, date and time) is collected during the service use process.

③ Service deliver
    Personal information is processed for the purpose of providing services, providing contents, and providing customized services.

④ Grievance handling
    Personal information is processed for the purpose of identifying the complainant's identity, checking the complaint, contacting for fact-finding, notification, and notification of the processing result.

⑤ Utilize marketing and advertising
    Personal information is processed for the purpose of developing new services and providing customized services, providing event and advertising information and providing opportunities to participate, providing services and advertising based on demographic characteristics, verifying the validity of services, identifying access frequencies, or statistics on members' service use.

Article 2 (Period of retention and use of personal information)

The company is processing the following personal information items.

① Personal Information Item
    - Required items E-mail, login ID
    - Information service usage records, access logs, cookies, access IP information, and payment records automatically generated in the process of service use or business processing

② Collection method
    - When signing up for a service member / provided by the member directly for identification work

③ grounds for retention
    - Consent of members (Consent of legal representative when collecting personal information of children under the age of 14)

④ Retention period
    - Until the user's consent to personal information is withdrawn: Provided, That if there is a record of illegal use or suspected illegal use of members under the company's terms and conditions, the company shall keep and destroy it for three years from the time of collection, despite the withdrawal of the user's consent to personal information.

⑤ Despite the company's personal information processing policy, the information to be stored under the following relevant laws and regulations will be kept for a period prescribed by the law.
    1. Personal information related to service use (login record &member withdrawal)
        Preservation grounds: Communications Secret Protection Act
        Preservation period: 3 months
    2. Marking/Advertising Records
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 6 months
    3. Records on withdrawal of contracts or subscriptions, etc
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 5 years
    4. Record of payment and supply of goods, etc
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 5 years
    5. Records of consumer complaints or dispute settlement
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 3 years
    6. a record of electronic financial transactions
        Preservation grounds: Electronic Financial Transactions Act
        Preservation period: 5 years

⑥ After the purpose of collecting and using personal information is achieved, the company will destroy it without delay
However, if it is necessary to preserve it in accordance with the provisions of the relevant laws and regulations, the company shall keep personal information for a certain period of time instructed by the relevant laws and regulations.
    1) Record of contract or withdrawal of subscription, etc.: 5 years
    2) Record of payment and supply of goods, etc.: 5 years
    3) Record of Consumer Complaints or Dispute Resolution: 3 Years
    4) Log in to the Communications Secret Protection Act: 3 months

Article 3 (rights, obligations, and methods of exercise of data subjects)

As a personal data subject, users may exercise the following rights.

① The data subject may exercise the following rights related to personal information protection against the company at any time.
    - Request for access to personal information
    - Request correction if there is an error, etc
    - Request for deletion
    - Request for processing suspension

② The exercise of rights under paragraph (1) can be done to the company through written, telephone, e-mail, fax, etc., and the company will take action without delay.

③ If the data subject requests correction or deletion of errors in personal information, the company will not use or provide such personal information until the correction or deletion is completed.

④ The exercise of rights under paragraph (1) may be done through a legal representative of the data subject or a person delegated by a person, etc. In such cases, you must submit a power of attorney in accordance with attached Form 11 of the Enforcement Rules of the Personal Information Protection Act.

⑤ The data subject shall not infringe on the personal information and privacy of the data subject or others that the company is processing in violation of related laws such as the Personal Information Protection Act.

Article 4 (Destruction of Personal Information)

① The company will destroy the personal information without delay when it becomes unnecessary, such as the expiration of the personal information retention period and the achievement of the processing purpose.

② If the personal data retention period agreed by the data subject has elapsed or the purpose of processing has been achieved, but it is necessary to continue preserving it under other laws and regulations, the personal data shall be transferred to a separate database (DB) or stored in a different storage location.

③ The procedures and methods for destroying personal information are as follows.
    1) Abandonment procedure
    The company selects the personal information that caused the reason for destruction and destroys the personal information with the approval of the company's personal information protection manager.
    2) Method of destruction
    The company destroys personal information recorded and stored in the form of electronic files by using methods such as low level format so that records cannot be reproduced, and records it in paper documents. The stored personal information is destroyed by crushing or incineration with a shredder.

Article 5 (Measures to ensure the safety of personal information)

In accordance with Article 29 of the Privacy Act, the Company takes the following administrative, technical, and physical measures necessary to ensure safety.

① Technical countermeasures against hacking, etc
In order to prevent leakage and damage of personal information by hacking or computer viruses, the company installs security programs, periodically updates and inspects them, and installs systems in areas with controlled access from outside, and monitors and blocks them technically and physically.

② The company takes the following measures to ensure the safety of personal information.
    1) Management measures: Establishment and implementation of internal management plans, regular employee training, etc
    2) Technical measures: Management of access rights such as personal information processing systems, installation of access control systems, encryption of unique identification information, installation of security programs
    3) Physical measures: Access control of computer rooms, data storage rooms, etc

Article 6 (encryption of personal information)

As for the user's personal information, the password is encrypted, stored and managed, so only you can know, and important data uses separate security functions such as encrypting files and transmission data or using file lock functions.

Article 7 (Restriction on Access to Personal Information)

We take necessary measures to control access to personal information by granting, changing, and cancelling access to the database system that processes personal information, and use an intrusion prevention system to control unauthorized access from outside.

Article 8 (Personal Information Protection Officer)

① The company is in charge of handling personal information processing, and designates a person in charge of personal information protection as follows to handle complaints and remedy damages of data subjects related to personal information processing.

    [Personal Information Protection Officer
    ① Trade name: Buildtec Co., Ltd. (Business registration number: 161-86-01915)
    ② Person in charge: Kim Joo Ho
    ③ Address: Room 201 of E&C Dream Tower, 146 Seonyu-ro, Yeongdeungpo-gu, Seoul
    ④ Email: buildtec1@naver.com
        1) The data subject can contact the person in charge of personal information protection for all personal information protection inquiries, complaint handling, damage relief, etc. that occurred while using our service. The company will respond and process the information subject's inquiries without delay.
        2) The user is responsible for maintaining the security of the ID related to the user's personal information.
        3) Although the Company has taken possible technical remedial measures, it is not responsible for any damage to information caused by unexpected accidents caused by network risks such as hacking using advanced technologies

Article 9 (Matters concerning the operation of cookies)

① The company operates a "Cookie" that stores and finds users' information from time to time in order to provide specialized customized services to its members. The company identifies the user's computer but does not personally identify the user with regard to cookie management.

② Users have a choice of Cookies. Users can choose Tools >Internet Options >Security >Custom Level from their Web browser to allow all cookies, go through checks every time a cookie is saved, or refuse to save all cookies. However, if you refuse to save all cookies, you will not be able to use the company's services provided by the cookies.

Buildtec Co., Ltd. (hereinafter referred to as the "Company") has the following guidelines for processing personal information to protect the personal information of data subjects and to facilitate the prompt and smooth handling of their grievances in accordance with the Personal Information Protection Act. This personal information processing policy applies to all services of Build Talk (hereinafter referred to as the service), and a separate personal information processing policy may apply to services provided by other services. When the company revises its personal information processing policy, it shall notify it through a service notice (or other notice).

Article 1 (Purpose of use and collection items of personal information)

The company collects and uses customers' personal information for the following purposes through mobile applications. The personal information being processed will not be used for any purpose other than the following, and if the purpose of use is changed, necessary measures such as obtaining separate consent in accordance with the Personal Information Protection Act will be implemented.

① Subscribe to and manage service membership
    Confirmation of membership intention and identification according to the provision of membership services. Personal information is processed for the purpose of authentication, maintenance and management of membership status, identity verification due to the implementation of a limited identification system, prevention of illegal use of services, various notices, notifications, and grievance handling, and for service users, ID and e-mail addresses are collected.

② Collection in the process of using the service
    - Access information (country of use, model, browser, access IP, date and time) is collected during the service use process.

③ Service deliver
    Personal information is processed for the purpose of providing services, providing contents, and providing customized services.

④ Grievance handling
    Personal information is processed for the purpose of identifying the complainant's identity, checking the complaint, contacting for fact-finding, notification, and notification of the processing result.

⑤ Utilize marketing and advertising
    Personal information is processed for the purpose of developing new services and providing customized services, providing event and advertising information and providing opportunities to participate, providing services and advertising based on demographic characteristics, verifying the validity of services, identifying access frequencies, or statistics on members' service use.

Article 2 (Period of retention and use of personal information)

The company is processing the following personal information items.

① Personal Information Item
    - Required items E-mail, login ID
    - Information service usage records, access logs, cookies, access IP information, and payment records automatically generated in the process of service use or business processing

② Collection method
    - When signing up for a service member / provided by the member directly for identification work

③ grounds for retention
    - Consent of members (Consent of legal representative when collecting personal information of children under the age of 14)

④ Retention period
    - Until the user's consent to personal information is withdrawn: Provided, That if there is a record of illegal use or suspected illegal use of members under the company's terms and conditions, the company shall keep and destroy it for three years from the time of collection, despite the withdrawal of the user's consent to personal information.

⑤ Despite the company's personal information processing policy, the information to be stored under the following relevant laws and regulations will be kept for a period prescribed by the law.
    1. Personal information related to service use (login record &member withdrawal)
        Preservation grounds: Communications Secret Protection Act
        Preservation period: 3 months
    2. Marking/Advertising Records
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 6 months
    3. Records on withdrawal of contracts or subscriptions, etc
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 5 years
    4. Record of payment and supply of goods, etc
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 5 years
    5. Records of consumer complaints or dispute settlement
        Preservation grounds: Act on Consumer Protection in Electronic Commerce, etc
        Preservation period: 3 years
    6. a record of electronic financial transactions
        Preservation grounds: Electronic Financial Transactions Act
        Preservation period: 5 years

⑥ After the purpose of collecting and using personal information is achieved, the company will destroy it without delay
However, if it is necessary to preserve it in accordance with the provisions of the relevant laws and regulations, the company shall keep personal information for a certain period of time instructed by the relevant laws and regulations.
    1) Record of contract or withdrawal of subscription, etc.: 5 years
    2) Record of payment and supply of goods, etc.: 5 years
    3) Record of Consumer Complaints or Dispute Resolution: 3 Years
    4) Log in to the Communications Secret Protection Act: 3 months

Article 3 (rights, obligations, and methods of exercise of data subjects)

As a personal data subject, users may exercise the following rights.

① The data subject may exercise the following rights related to personal information protection against the company at any time.
    - Request for access to personal information
    - Request correction if there is an error, etc
    - Request for deletion
    - Request for processing suspension

② The exercise of rights under paragraph (1) can be done to the company through written, telephone, e-mail, fax, etc., and the company will take action without delay.

③ If the data subject requests correction or deletion of errors in personal information, the company will not use or provide such personal information until the correction or deletion is completed.

④ The exercise of rights under paragraph (1) may be done through a legal representative of the data subject or a person delegated by a person, etc. In such cases, you must submit a power of attorney in accordance with attached Form 11 of the Enforcement Rules of the Personal Information Protection Act.

⑤ The data subject shall not infringe on the personal information and privacy of the data subject or others that the company is processing in violation of related laws such as the Personal Information Protection Act.

Article 4 (Destruction of Personal Information)

① The company will destroy the personal information without delay when it becomes unnecessary, such as the expiration of the personal information retention period and the achievement of the processing purpose.

② If the personal data retention period agreed by the data subject has elapsed or the purpose of processing has been achieved, but it is necessary to continue preserving it under other laws and regulations, the personal data shall be transferred to a separate database (DB) or stored in a different storage location.

③ The procedures and methods for destroying personal information are as follows.
    1) Abandonment procedure
    The company selects the personal information that caused the reason for destruction and destroys the personal information with the approval of the company's personal information protection manager.
    2) Method of destruction
    The company destroys personal information recorded and stored in the form of electronic files by using methods such as low level format so that records cannot be reproduced, and records it in paper documents. The stored personal information is destroyed by crushing or incineration with a shredder.

Article 5 (Measures to ensure the safety of personal information)

In accordance with Article 29 of the Privacy Act, the Company takes the following administrative, technical, and physical measures necessary to ensure safety.

① Technical countermeasures against hacking, etc
In order to prevent leakage and damage of personal information by hacking or computer viruses, the company installs security programs, periodically updates and inspects them, and installs systems in areas with controlled access from outside, and monitors and blocks them technically and physically.

② The company takes the following measures to ensure the safety of personal information.
    1) Management measures: Establishment and implementation of internal management plans, regular employee training, etc
    2) Technical measures: Management of access rights such as personal information processing systems, installation of access control systems, encryption of unique identification information, installation of security programs
    3) Physical measures: Access control of computer rooms, data storage rooms, etc

Article 6 (encryption of personal information)

As for the user's personal information, the password is encrypted, stored and managed, so only you can know, and important data uses separate security functions such as encrypting files and transmission data or using file lock functions.

Article 7 (Restriction on Access to Personal Information)

We take necessary measures to control access to personal information by granting, changing, and cancelling access to the database system that processes personal information, and use an intrusion prevention system to control unauthorized access from outside.

Article 8 (Personal Information Protection Officer)

① The company is in charge of handling personal information processing, and designates a person in charge of personal information protection as follows to handle complaints and remedy damages of data subjects related to personal information processing.

    [Personal Information Protection Officer
    ① Trade name: Buildtec Co., Ltd. (Business registration number: 161-86-01915)
    ② Person in charge: Kim Joo Ho
    ③ Address: Room 201 of E&C Dream Tower, 146 Seonyu-ro, Yeongdeungpo-gu, Seoul
    ④ Email: buildtec1@naver.com
        1) The data subject can contact the person in charge of personal information protection for all personal information protection inquiries, complaint handling, damage relief, etc. that occurred while using our service. The company will respond and process the information subject's inquiries without delay.
        2) The user is responsible for maintaining the security of the ID related to the user's personal information.
        3) Although the Company has taken possible technical remedial measures, it is not responsible for any damage to information caused by unexpected accidents caused by network risks such as hacking using advanced technologies

Article 9 (Matters concerning the operation of cookies)

① The company operates a "Cookie" that stores and finds users' information from time to time in order to provide specialized customized services to its members. The company identifies the user's computer but does not personally identify the user with regard to cookie management.

② Users have a choice of Cookies. Users can choose Tools >Internet Options >Security >Custom Level from their Web browser to allow all cookies, go through checks every time a cookie is saved, or refuse to save all cookies. However, if you refuse to save all cookies, you will not be able to use the company's services provided by the cookies.

Delete BuildTalk Data

How to withdraw membership

The method to cancel your BuildTalk membership is simple. First, access the BuildTalk app, go to [Settings] → click on [Security] → click on [Cancel BuildTalk] → check [I agree to delete all information] → click on [Cancel BuildTalk] to cancel your membership.

Member information and data deletion

When you withdraw from BuildTalk, all your information such as your profile, friends, friend request history, chat rooms, translation rooms, 1:1 inquiry history, issued coupons, issued stamps, referral inquiry history, attendance check history, and photos or files exchanged in chat rooms will be deleted. Even if you rejoin, they will not be automatically restored.

Delete BuildTalk Data

How to withdraw membership

The method to cancel your BuildTalk membership is simple. First, access the BuildTalk app, go to [Settings] → click on [Security] → click on [Cancel BuildTalk] → check [I agree to delete all information] → click on [Cancel BuildTalk] to cancel your membership.

Member information and data deletion

When you withdraw from BuildTalk, all your information such as your profile, friends, friend request history, chat rooms, translation rooms, 1:1 inquiry history, issued coupons, issued stamps, referral inquiry history, attendance check history, and photos or files exchanged in chat rooms will be deleted. Even if you rejoin, they will not be automatically restored.