Cross-Border Compliance
Global Launch Readiness
Region-by-region launch controls for EU, United States, Southeast Asia, Australia, and Canada. This is the global operating map for launch readiness.
Launch Matrix
Region
EU / EEA / UK
Core issue
GDPR, cookies, data rights, cross-border transfers
Required control
Cookie consent banner, GDPR privacy language, data access/deletion request process, transfer safeguards review.
Region
United States
Core issue
FTC truth-in-advertising, endorsements, health/fitness claims
Required control
Marketing claim review, evidence log, testimonial disclosure, no guaranteed certification or body outcome claims.
Region
Southeast Asia
Core issue
Country-specific e-commerce, privacy, and consumer rules
Required control
Country launch review before paid campaigns; use ASEAN cross-border transfer templates where counsel approves.
Region
Australia
Core issue
Privacy Act / APP privacy policy and overseas disclosure duties
Required control
Privacy policy must describe likely overseas disclosures and request channels where applicable.
Region
Canada
Core issue
PIPEDA-style consent, access, and correction expectations
Required control
Consent record, privacy contact, access/correction request process, and retention controls.
Immediate Go-Live Position
- Launch only modular digital LMS access unless Singapore PEI counsel clears the full 30-week bundled programme.
- Do not run personalised analytics, retargeting, pixels, affiliate tracking, or ad cookies until non-essential cookie consent is active.
- Do not publish before/after, transformation, income, employment, pain relief, rehabilitation, or guaranteed certification outcome claims.
- Keep the certification language private-standard based: LINÉPOQUE certificate, not government accreditation unless separately approved.
- Route EU, US, SEA, Australia, and Canada legal questions through the global readiness checklist before paid acquisition.
Global Blockers
- Paid checkout should not go live in a country until refund, tax, and consumer cancellation wording is confirmed for that country.
- Physical apparatus class participation should require a signed waiver and studio-specific safety controls.
- Children and minors need a separate guardian consent pathway before active marketing to that audience.
- Any influencer, affiliate, instructor testimonial, or studio partner endorsement must disclose material connections clearly.