Legal documents
Legal Center
A complete package of 15 documents governing the operation of the purepoint.pl store. Version 2.0 dated 6 June 2026.
A · Product positioning and liability
The fundamental declaration of the nature of the offered Products and the rules of use.
Research Disclaimer
The foundational document of the package. It establishes that the Products are research-grade materials, the requirements for the Qualified Buyer, and the rationale for excluding the consumer regime.
Read document →Product Disclaimer
Product classification (3-tier matrix), categorical 🔴 RED exclusions, list of prohibited medical, supplement and cosmetic claims, WADA.
Read document →Acceptable Use Policy
Absolute prohibitions, monitoring procedure, account-blocking ladder (warning → suspension → permanent block + reporting to authorities).
Read document →B · Terms of sale
The contractual core of the Operator–Buyer relationship: terms, delivery, returns, complaints, B2C/B2B clause matrix.
Store Terms & Conditions
15 sections governing use of the Store. Definitions, Qualified Buyer, contract conclusion procedure, payments, fulfilment, withdrawal, liability, jurisdiction.
Read document →Shipping Policy
PL and EU delivery terms, pricing (InPost Parcel Locker, courier, DPD, GLS, DHL), timelines, ambient-temperature shipping, collection procedure and damage report.
Read document →Returns Policy
Exclusion of the 14-day withdrawal right with a two-step rationale (Qualified Buyer ≠ consumer + Art. 38 of the Consumer Rights Act). Cases where a return is possible and the procedure.
Read document →Complaints Policy
Warranty for physical and legal defects (Art. 556–576 of the Civil Code), exclusion for B2B trade (Art. 558 § 1 of the Civil Code), reporting procedure, ladder of remedies.
Read document →Consumer Clauses B2C vs B2B
A matrix of 30+ clauses comparing four legal regimes: consumer, sole trader with consumer rights, B2B, and Qualified Buyer.
Read document →C · Personal data and privacy
Full implementation of the GDPR, ePrivacy, the Polish DPA decision 02/2025 (symmetrical cookie banner) and Schrems II requirements.
Privacy Policy
Data controller, purposes and legal bases of processing, data subject rights (Art. 15–22 GDPR), Schrems II — EEA processors only, no transfer to the USA, Plausible analytics.
Read document →Cookies Policy
Cookie categories, analytics choice (Plausible Insights — EU-only, cookieless), symmetrical consent banner compliant with the Polish DPA decision 02/2025, consent management.
Read document →User Account Terms
Registration, Qualified Buyer status verification, security (optional 2FA), account deletion procedure, data retention after deletion.
Read document →Newsletter Terms
Double opt-in, frequency (max 2×/month), nature of mailings (research-only, zero medical claims), 1-click unsubscribe procedure.
Read document →D · Security and compliance
Compliance mechanisms within the organisation and towards commercial, financial and regulatory partners.
Compliance Notice
A unified Operator compliance declaration for partners (Stripe Payments Europe, Plausible, Brevo, cyber_Folks, authorities). Regulatory frameworks: REACH, CLP, GDPR, AML, sport+WADA.
Read document →AML/KYC Policy
A proactive AML/KYC policy with three thresholds (EUR 5,000 / 15,000 / 50,000), sanctions-list screening, ultimate beneficial owner identification, cooperation with the Financial Intelligence Unit (GIIF).
Read document →Sanctions & Export Policy
List of blocked jurisdictions (EU/UN/OFAC), checkout geo-block, End-Use Declaration for exports outside the EU, customs documentation (HS 2933.79.00 / 3822.00.00).
Read document →E · Operator identification
Full identification of the entity operating the Store — registration data, representation, contact channels, supervisory authorities.