Instantly.ai
Instantly.ai · Uncategorised · US · instantly.ai
services/instantly-ai.yamlVendor data-handling terms
The policy describes a B2B contact database and outreach services; it does not say whether campaign content or reply data trains the AI writing and reply features.
“We will then in most cases remove your personal information from our active marketing databases within 15 business days, from the time we received the opt-out request. / For example, we need to retain certain Information in order to provide our services to you.”
“(We generally store the Information used in our Services in the United States.) Thus, you should be aware that in accessing this website or otherwise communicating with us, the Information we collect or receive from you may be subject to laws with lesser or different privacy standards than those in your own country (such as if you are in a country located in the European Union).”
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 Vendors do not publish complete lists.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 |
|---|---|---|
| instantly.ai | app | observed |
Assessment
Reasoning: A cold-email outreach platform with a lead database and AI writing. It connects to sending mailboxes and holds prospect lists in the US; the policy is about the marketing database rather than the AI features. GDPR questions sit with the customer's own outreach.
Flags: AI features not addressed in the policy · Connects to sending mailboxes · US storage · Assessed 2026-09-16. The assessment is Unseen's; the terms above are the vendor's.
Changelog
- 2026-09-16Documented. Retention and storage terms verified against the Instantly.ai privacy policy; training not stated.
- 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.