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Privacy Policy

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‍

1. INTRODUCTORY PROVISIONS

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1.1. The Privacy Policy describes how the company BLN TECH CLUB DMCC, DMCC196633 with
registered seat at Unit No: 1210, Gold Crest Executive, Plot No: JLT-PH1-C2A, Jumeirah Lakes
Towers, Dubai 1210, United Arab Emirates (the “Controller”) processes the personal data of
the customer and the purposes of personal data processing, including the rights of the Data
Subjects.

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1.2. This Privacy Policy applies to the processing of personal data of customers who have entered into
a relationship with the Controller and staff of the third-party provider (hereinafter collectively as
the “Data Subjects”).

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1.3. The personal data of the Data Subjects are processed in accordance with the applicable and
effective legal regulations, in particular, Regulation (EU) 2016/679 of the European Parliament
and of the Council of 27 April 2016 on the protection of natural persons with regard to the
processing of personal data and on the free movement of such data, and repealing Directive
95/46/EC (General Data Protection Regulation) (the “GDPR”).

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2. PURPOSES OF PERSONAL DATA PROCESSING

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Data Subject Data Category Purpose Legal Basis
Customer - Trader E-mail (support@fortraders.com) The processing is necessary in connection with the creation of your registration/account.

Providing data is necessary in order to enter into the contractual relationship with the Controller.

Article 6(1)(b) of the GDPR (Agreement)
Name, Address, E-mail, Payment details, and other data related to the Services The processing is necessary to carry out the necessary steps related to the provision of Services.

Providing data is necessary in order to enter into the contractual relationship with the Controller.

Article 6(1)(b) of the GDPR (Agreement)
Customer - Trader Name, Address, Payment details, and other data related to the Services Compliance with legal obligations (tax and accounting).

Data processing is a legal obligation.

Article 6(1)(c) of the GDPR (Legal obligation)
Customer - Trader Name, Address, Contact data (e-mail) Sending of general commercial communications (newsletter) and informing the Customer of other offers of similar products and/or Services on the basis of legitimate interest.

If the Customer has not opted out.

Article 6(1)(f) of the GDPR (Legitimate interest)
Provider Details in the contract with the provider Compliance with contractual and legal obligations. The provision of data is necessary for mutual cooperation.

Article 6(1)(b) and (c) of the GDPR (Agreement & Legal obligation)
Staff Contact details provided in the contract or given during negotiations (e-mail, telephone) Communication between the parties. The provision of data is necessary for mutual cooperation.

Article 6(1)(f) of the GDPR (Legitimate interest)
Data Subjects Name, Address, Contact details Complaint handling. In order for the Controller to handle the complaint (duly and in a timely manner), it is necessary to process personal data.

Article 6(1)(f) of the GDPR (Legitimate interest)
Operational data (cookies) Improving the operation and performing analyses. A description of the cookies or similar analytical tools used is described in more detail in the Cookies Policy.

If the legal basis is consent, the consent is voluntary.

Article 6(1)(f) or (a) of the GDPR (Legitimate interest or consent)
Data Subjects Anonymous data Statistical data. Data cannot be attributed to the data subjects, and the processing is subject to appropriate safeguards regarding the rights and freedoms of the Data Subjects.

Articles 5(1)(e) of the GDPR (Legitimate interest)

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3. RETENTION PERIOD

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3.1. The Controller retains the personal data of the Data Subjects for the period necessary to ensure all
rights and obligations arising from the relevant legal relationship and for a further period for
which the Controller is obligated to retain personal data under generally binding legal
regulations. In other cases, the processing period is based on the purpose of the processing to
which it must be proportionate, or it is determined by legal regulations on the protection of
personal data or other regulations.
3.2. The overview table below shows the retention period for the personal data of Data Subjects:

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Data Subject Data category Retention period
Customer - Trader Identification data (E-mail support@fortraders.com)
Creating an account
For the period of using the Services. The data will be deleted upon cancellation of the account.
Identification and Contact data (Name, address, e-mail, payment details and e-mail) + other data related to the Services
To conclude a contractual relationship and performance of a contractual relationship
For a period of 3 years as of the termination of the contractual relationship – provision of Services.
Contact data (E-mail)
Sending of commercial communications
For a period of 1 year as of the termination of the contractual relationship or until the opt-out.
Customer - Trader Identification data Identification data (Name, address and invoice data)
Compliance with legal obligations (tax and accounting)
For a period of 3 years as of the termination of the contractual relationship – provision of Services.
Provider Staff Data Subjects
Details in the contract
Compliance with contractual and legal obligations
For a period of 3 years as of the termination of the contractual relationship.
Provider Staff Data Subjects Contact details
Communication
For a period of 3 years from the termination of the contractual relationship or until a request for deletion or objection is made.
Provider Staff Data Subjects Operational data (cookies) According to the cookie duration specified in the Cookie Policy.
Identification data (Name, address, contact details)
Compliant handling
For a period of 3 years from the conclusion of the case.

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3.3. The data subject acknowledges that the termination of the contract/agreement means the
completion/conclusion of the request – provision of Services.

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3.4. The Controller is entitled to send commercial communications (newsletter) regarding similar
Services to an e-mail address or by other means of electronic communication, unless the Data
Subject has opted out of receiving such messages, while the Data Subject may do so by sending
a message to support@fortraders.com or at any later time via a link in each of the marketing
e-mails sent.

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4. RECIPIENTS OF PERSONAL DATA

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4.1. The personal data of Data Subjects are made available only to the authorised employees of the
Controller or the individual processors of personal data contracted by the Controller or to other
recipients as separate data controllers such as business partners involved in the Services, state
authorities, municipal authorities etc.

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4.2. The personal data are stored outside the EU/EEA. The Controller uses the cloud service providers
from Digital ocean. If the Data Subjects are in the EU/EEA, the Controller has concluded
contractual clauses with the provider. The text of the clauses is available here.

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5. RIGHTS OF DATA SUBJECTS

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5.1. The Data Subject may exercise the following rights with respect to the Controller:
- The right to withdraw consent to the processing of personal data: if personal data are
processed based on the consent of the Data Subject, the Data Subject may withdraw his/her
consent at any time. The withdrawal of consent shall not affect the lawfulness of processing
based on consent before its withdrawal.

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- Right of access to personal data: the Data Subject has the right to be informed of whether
his/her personal data are being processed and, if so, to gain access to his/her personal data.

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- The right to rectification of inaccurate or incomplete personal data: if the data subject
believes that the personal data processed by the Controller are inaccurate, false, outdated or
incomplete, he/she has the right (and in certain cases, the obligation) to request their
rectification or completion. The Controller will rectify/complete the data without undue
delay, taking into account the technical limitations.

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- Right to erasure: in the case the Data Subject requests the erasure of data, the Controller
shall erase his/her personal data if (i) the data are no longer necessary for the purposes for
which they were collected, (ii) the processing is unlawful, (iii) the Data Subject objects to
the processing and no overriding legitimate grounds for their processing exist, or (iv) the
processing is not required by statutory obligation.

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- Right to restriction of processing of personal data: if the Data Subject does not wish to
erase the data but only temporarily restrict the processing of his/her personal data, the Data
Subject may request the Controller to restrict the processing of his/her personal data.

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- Right to data portability: if the Data Subject wishes for the Controller to transfer his/her
personal data processed by the controller on the basis of the Data Subject’s consent or an
agreement to a third party, the Data Subject may exercise his/her right to data portability. In
the event the exercise of this right could adversely affect the rights and freedoms of third
parties, the controller will not be able to comply with such a request.

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- Right to object: The Data Subject has the right to raise an objection to the processing of
personal data that are processed for the purposes of protecting the legitimate interests of the

Controller or third parties. If the controller does not prove that there are compelling
legitimate grounds for the processing which take precedence over the interest or rights and
freedoms of the Data Subject, the controller will terminate the processing based on the
objection without undue delay.

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If the main substance of the Data Subjects objection is directed against the sending of
commercial communications and targeting of advertising by the Controller, the link at the
end of the last commercial communication (newsletter) received from the Controller can be
used as a primary means of unsubscribing from such commercial communications and the
processing of personal data for this purpose.

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- The right to contact the Data Protection Authority (https://edpb.europa.eu).

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5.2. There is no automated decision-making, including profiling, in connection with the Services
provided.

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5.3. The Data Subjects’ rights can be exercised in writing by e-mail to support@fortraders.com. The
Controller reserves the right to reasonably verify the identity of the person requesting to exercise
the rights in question.

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5.4. In the event of repeated or manifestly unfounded requests to exercise the rights above, the
Controller is entitled, in accordance with Article 12(5)(a) of the GDPR, to charge a reasonable
fee for the exercise of the right in question, or to refuse to comply with such a right. The
Controller shall inform you of such steps in advance.

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6. CONTACT DETAILS

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6.1. A representative appointed by the Controller in accordance with Article 27 of the GDPR
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Address: Jumeirah Lakes Towers, Dubai 1210, United Arab Emirates
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E-mail: support@fortraders.com

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This Privacy Policy is valid and effective as of 5. 7. 2023.

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© 2023 - 2025 FT Trading Ltd. All rights reserved.
Terms & ConditionsPrivacy PolicyPress Kit
FT Trading Ltd. Address: The Sotheby Building, Rodney Village, Rodney Bay, Gros-Islet, Saint Lucia
‍BLN Tech Club DMCC Address: Goldcrest Executive Building, Office No. 1210, JLT, Cluster C, Dubai, United Arab Emirates
Trading Platforms for simulated trading are provided by FT Trading Ltd., address: The Sotheby Building, Rodney Village, RodneyBay, Gros-Islet, Saint Lucia.
The technical solution offered in the form of platforms made available as part of the services offered by the Company (i.e. platforms for fictitious trading on demo accounts) uses third party services.The website is operated and owned by the Company and all content is copyrighted by the Company.

For Traders is an education and evaluation company that does not collect customer deposits or offer financial services to customers. All accounts provided to customers are demo accounts in a virtual environment with virtual money. Please note that all client trading operations are conducted in a simulated environment.
Educational products and payment processing are provided by BLN Tech Club DMCC, address: Goldcrest Executive Building, Office No. 1210, JLT, Cluster C, Dubai, United Arab Emirates.
All information provided on this website is for educational purposes only in the area of financial market trading and does not serve in anyway as specific investment recommendations, trading recommendations, analysis of investment opportunities or similar general recommendations regarding the trading of investment instruments. The Company does not provide investment services within the meaning of MIFID II The Company is not a licensed investment services provider (securities broker-dealer) within the meaning of MIFID II All trading on the platform made available as part of the services provided by the Company, although it may be based on real trading data and simulates real trading, is only notional trading on a demo account. In this sense, i.e. that it is fictitious trading on fictitious accounts, terms such as “trading” or “trader” should also be understood and should not be given the meanings they have in the context of real trading.
Restricted countries: Pakistan, Iran, Syria, Myanmar, Bangladesh, Vietnam, North Korea, the Russian Federation, the Republic of Belarus, Cuba, Lebanon, Libya, Sudan, Crimea, Donetsk and Luhansk regions of Ukraine.