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Legal

Privacy Notice

Version 1.0 · Effective 2026-09-22 · Last updated 2026-09-22

Status of this document

This notice is published so it can be read before you send anything. Jurisdiction-specific legal review is outstanding and is required before the first pilot engagement.

1. Two different things

This notice covers two situations, and they are not the same:

  1. The website. You read pages and, if you choose, send an enquiry through the form.
  2. An engagement. You give FEEC a well integrity register and supporting documents to assess.

Section 2 covers the website. Section 3 covers an engagement. The contracting entity in both cases is Front End Engineering Consultancy Limited (FEEC). Its company details, including its registered office, are published on feec.asia.

2. The website

What we collect. Only what you type into the enquiry form: your name, company, work email, an optional phone number and role, the kind of enquiry, and your message.

Why. To answer you. That is the only purpose.

Who sees it. The form posts to BarrierLedger’s own enquiry API, which emails the enquiry to FEEC through its mail delivery sub-processor, Zoho ZeptoMail, so that a person can reply. The website itself keeps no copy: it has no database and no server-side storage of its own.

Spam. The form carries two hidden fields that exist only to catch automated submissions. They are never read as part of your message, and a submission that fills them is discarded.

Cookies and tracking. There are no analytics, no advertising pixels and no third-party scripts on this site, and no cookie is set. The only thing stored in your browser is your light-or-dark theme preference, kept in localStorage under the key theme. See the Cookie Notice.

How long. Enquiries are kept for as long as needed to deal with them and for our own records of the conversation. You can ask us to delete yours.

Legal basis. We handle an enquiry because you asked us to respond to it. Where local law requires a different basis, we rely on our legitimate interest in answering a business enquiry addressed to us.

3. An engagement

If you go on to engage FEEC, your well data is handled under the written agreement and the Data Processing Agreement for that engagement, not under section 2 of this notice. In short:

  • a DPA is signed before anything is shared;
  • a live customer register is not held on the shared host — it goes to dedicated hosting or runs inside your own infrastructure, as recorded in the order form;
  • sub-processors are listed on the Sub-processors page;
  • you keep ownership of your registers and schematics;
  • you can ask for a full export at any time, and for deletion at the end of the engagement; and
  • we do not use client data to train anything, and we do not share it between tenants.

Derived fixtures. Any demonstration or test data derived from real wells is anonymised and perturbed, and is used only with the data owner’s written permission. The Demo Petroleum tenant on this site is fictional: it is an invented operator, and nothing shown from it is a real operator’s data.

4. Your rights

Depending on where you are, you may have the right to ask for a copy of your personal data, to have it corrected or deleted, to restrict or object to how it is used, and to complain to a supervisory authority. Ask us through the enquiry form and we will act on it.

5. Personal data inside well records

Well registers and integrity records are engineering documents. They can contain personal data — a name against a test sign-off, for example. If we hold that data on your behalf in an engagement, we do so as your processor under the DPA, and you are the controller.

6. Changes

If what we collect or how we handle it changes, this notice changes with it and the date above changes too.

7. Contact

There is no published BarrierLedger mailbox. Use the enquiry form or the FEEC contact page.