Copy.ai
Copy.ai · Writing · US · www.copy.ai
services/copy-ai.yamlVendor data-handling terms
The notice does not say whether prompts and generated content train Copy.ai's or its providers' models; the customer terms are not verified here.
“• To improve, upgrade or enhance our Services;”
“Data retention and deletion – We retain different types of Personal Data for different periods, depending on the purposes for processing the information, our legitimate business purposes as well as pursuant to legal requirements.”
“Cross-border data transfer – We use cloud-based services to store and process data in the United States and European Union and will store data at additional sites, at our discretion, in accordance with applicable laws. / We therefore transfer Personal Data outside of the country it was collected in or outside of the European Economic Area (" EEA ")to, among others, the USA, to Brazil, Costa Rica, Philippines, or Canada.”
Domains and endpoints
observed means seen in Unseen deployments; vendor-documented means listed by the vendor. Vendors do not publish complete lists.
| Host | Role | Source |
|---|---|---|
| copy.ai | app | observed |
Assessment
Reasoning: A go-to-market content and workflow platform. Storage in the US and EU is stated, along with transfers to several other countries; training use of prompts is not addressed in the notice.
Flags: Training-use of prompts not stated · Transfers to several non-EU countries · Assessed 2026-09-16. The assessment is Unseen's; the terms above are the vendor's.
Changelog
- 2026-09-16Documented. Use, retention and transfer terms verified against the Copy.ai privacy notice.
- 2026-09-15Listed from the Unseen catalogue with observed domains.
Corrections
Pull request on GitHub, or the form below. Changes are reviewed and recorded in the changelog.