At june365, protecting your personal information is not just a legal obligation — it is a core commitment to every Filipino player who trusts us with their data. This Privacy Policy explains clearly and honestly what we collect, why we collect it, how we protect it, and what rights you have under the Philippine Data Privacy Act of 2012.
Six principles that guide every data decision at june365 — a plain-language summary before the full legal text.
june365 follows the principle of data minimization — we collect only the personal information that is genuinely necessary to operate your account, process transactions, verify your identity, and comply with PAGCOR and anti-money laundering regulations.
june365 does not sell, rent, or trade your personal information to third parties for their own commercial or marketing purposes. Your data is used to serve you — not as a product to be monetized by others.
All data transmitted between your device and june365 servers is protected by SSL/TLS encryption. Sensitive data such as passwords and payment details are hashed or encrypted at rest. We maintain technical security measures consistent with industry standards for online gaming platforms.
june365 operates in full compliance with Republic Act No. 10173, the Philippine Data Privacy Act of 2012, and the regulations issued by the National Privacy Commission (NPC). You have enforceable rights as a data subject under Philippine law.
You have the right to access, correct, withdraw consent for, object to, and request erasure of your personal data held by june365, subject to the limitations outlined in this Policy and applicable law. Contact us at any time to exercise these rights.
In the event of a personal data breach that poses a real risk of serious harm, june365 will notify affected players and the National Privacy Commission within 72 hours of becoming aware of the breach, in accordance with NPC Circular 16-03.
The Data Privacy Act of 2012 gives every Filipino player specific rights over their personal data held by june365.
You have the right to request a copy of all personal data june365 holds about you, including the categories of data, the purposes for processing, and with whom it has been shared.
If any personal data we hold about you is inaccurate, incomplete, or outdated, you have the right to request that it be corrected. Most profile data can be updated directly in your account settings.
You may request deletion of your personal data where it is no longer necessary for the purposes it was collected, subject to our legal retention obligations under PAGCOR regulations and AML laws.
You may object to the processing of your personal data for direct marketing purposes at any time. You may also object to processing based on legitimate interest where your specific situation warrants it.
Where technically feasible, you may request a structured, commonly used, machine-readable copy of your personal data to be transferred to you or to another platform.
Under the Data Privacy Act, you have the right to claim compensation for damages sustained as a result of any violation of your data privacy rights by june365.
This Privacy Policy ("Policy") describes how june365 ("june365," "we," "us," or "our") collects, uses, discloses, stores, and protects the personal information of individuals ("you," "Player," or "User") who access or use the june365 platform available at june365.club, including all casino games, live dealer tables, sports betting, bingo rooms, and associated account, payment, and support services (collectively, the "Service").
This Policy is issued in compliance with Republic Act No. 10173, the Data Privacy Act of 2012 of the Philippines ("DPA"), its Implementing Rules and Regulations, and the relevant Circulars and Advisories issued by the National Privacy Commission ("NPC"). It is also consistent with june365's obligations under applicable anti-money laundering legislation and PAGCOR's regulatory framework.
By registering a june365 account, accessing the Service, or otherwise providing your personal information to us, you acknowledge that you have read and understood this Policy and consent to the collection and processing of your personal information as described herein. If you do not agree with this Policy, you must not create an account or use the Service.
Plain Language Note: We've written this Policy to be as clear and readable as possible while maintaining the legal precision required under Philippine law. If any section is unclear to you, please contact our Data Protection Officer at the details in Section 16 — we're happy to explain in plain Filipino-English what any clause means for you.
For the purposes of the Data Privacy Act and this Policy, june365 is the personal information controller ("PIC") responsible for the personal data of users of the june365 Service. As PIC, june365 determines the purposes and means of processing your personal information in connection with your account and your use of the Service.
june365 has designated a Data Protection Officer ("DPO") who is responsible for overseeing compliance with this Policy and applicable data privacy laws. Contact details for the DPO are provided in Section 16 of this Policy. Data subject rights requests, privacy concerns, and formal complaints should be directed to the DPO in the first instance.
Some processing activities described in this Policy are carried out by third-party processors (game providers, payment processors, fraud detection services) acting on behalf of june365 under data processing agreements that bind those processors to confidentiality and data protection obligations consistent with this Policy.
june365 collects personal information in the following categories:
When you create a june365 account, we collect your full legal name, date of birth, registered email address, Philippine mobile number, residential address, and chosen username. This information is required to establish and manage your account.
Prior to processing withdrawals, we collect government-issued identification data including the type, number, and expiry date of your ID document, and a photographic image of the document itself. This is required under PAGCOR regulations and the Anti-Money Laundering Act (AMLA). We may also collect a selfie photograph for liveness verification purposes.
We collect records of all deposits, withdrawals, wagers, wins, losses, and bonus transactions conducted through your june365 account. We collect the payment method identifiers used (GCash mobile number, bank account reference number, etc.) but do not store full card numbers or complete bank account details on june365 systems.
We collect detailed logs of your game sessions, including game titles played, bet amounts, outcomes, session duration, responsible gaming limits set, and any self-exclusion periods.
We automatically collect your IP address, browser type and version, operating system, device identifiers, screen resolution, referring URL, and session timestamps when you access the Service. This data is used for security monitoring, fraud detection, and platform optimization.
We retain records of communications between you and june365, including live chat transcripts, email correspondence, and support ticket history, for service quality assurance and dispute resolution purposes.
Sensitive Personal Information: june365 does not intentionally collect sensitive personal information as defined under Section 3(l) of the Data Privacy Act (such as racial or ethnic origin, political affiliations, religious beliefs, health data, or sexual orientation) except where strictly required for responsible gaming compliance (specifically, health-related self-exclusion requests) or as required by applicable law.
| Collection Method | Data Types Collected | When Collected |
|---|---|---|
| Account Registration Form | Name, email, mobile number, date of birth, password | At account creation |
| KYC Submission | Government ID image, selfie (where applicable) | Before first withdrawal |
| Payment Processing | Payment method reference, transaction amounts | Each deposit and withdrawal |
| Platform Usage (Automatic) | IP address, device data, session data, game logs | During active platform use |
| Support Interactions | Communication content, complaint details | When you contact support |
| Cookies & Tracking | Session tokens, preference settings, analytics data | During platform visits |
june365 uses the personal data collected for the following purposes:
Under the Data Privacy Act and its implementing rules, june365 processes your personal data on the following legal bases:
june365 does not sell your personal data. We share personal data only in the following limited circumstances and only to the extent necessary:
We share data with third-party service providers who process data on our behalf, including: game software providers (JILI, PG Soft, Pragmatic Play, and others); payment processors (GCash/GXI, Maya/PayMaya, bank partners); identity verification and KYC service providers; fraud detection and cybersecurity service providers; cloud hosting and infrastructure providers; and customer support platform providers. All processors are bound by data processing agreements requiring compliance with the DPA and this Policy.
We are required to share certain data with PAGCOR as part of our licensing and compliance obligations. We may also disclose data to the Anti-Money Laundering Council (AMLC), the Bureau of Internal Revenue (BIR), the National Privacy Commission (NPC), law enforcement agencies, and courts where required by law or pursuant to a valid legal order.
In the event of a merger, acquisition, or sale of all or substantially all of june365's assets, your personal data may be transferred to the acquiring entity, provided that the receiving entity is bound to process your data in accordance with this Policy or a policy providing equivalent protections.
What We Never Do: june365 will never sell your personal data to third-party advertisers, data brokers, or commercial list providers. We will never share your personal data with other online casino operators for marketing purposes. We will never transfer your KYC documents to parties without a strict legal or regulatory basis for the transfer.
june365 uses cookies and similar tracking technologies to operate the Service effectively. The following categories of cookies are used:
You can manage cookie preferences through your browser settings. Blocking essential cookies will affect the functionality of the Service. For analytics cookies, you may withdraw consent at any time. Note that june365 does not deploy third-party advertising or retargeting cookies.
june365 retains personal data for as long as necessary to fulfil the purposes set out in this Policy, subject to the following minimum retention periods:
| Data Category | Retention Period | Basis |
|---|---|---|
| Account and identity data | Duration of account plus 5 years post-closure | PAGCOR regulatory requirement |
| KYC documents | 5 years from account closure or last transaction | AMLA Section 9 retention requirement |
| Financial transaction records | 5 years from transaction date | AMLA and BIR requirements |
| Game session logs | 3 years from session date | Dispute resolution, PAGCOR compliance |
| Support correspondence | 3 years from last communication | Quality assurance and legal claims |
| Marketing consent records | Until consent is withdrawn plus 1 year | Evidence of lawful marketing basis |
Upon expiry of the applicable retention period, personal data will be securely deleted, anonymized, or archived in a manner that prevents re-identification, unless further retention is required by law or for pending legal proceedings.
june365 implements a comprehensive set of technical and organizational security measures to protect your personal data against unauthorized access, disclosure, alteration, destruction, or accidental loss. These measures include, without limitation:
Your Role in Security: Data security is a shared responsibility. Please use a strong, unique password for your june365 account, enable two-factor authentication, and never share your account credentials. Report any suspected unauthorized access immediately to [email protected].
Some of the third-party processors used by june365 — including game software providers and cloud infrastructure providers — may process your data in jurisdictions outside the Philippines. Where such cross-border transfers occur, june365 ensures that appropriate safeguards are in place in accordance with Section 21 of the Data Privacy Act and NPC guidelines on cross-border data transfers.
Safeguards applied to cross-border transfers include: contractual clauses binding the foreign processor to data protection standards equivalent to those required under Philippine law; and transfers only to processors domiciled in jurisdictions with adequate data protection regimes as recognized by the NPC.
By using the Service, you acknowledge that your personal data may be transferred to, stored, and processed in countries outside the Philippines for the purposes described in this Policy, subject to the safeguards described above.
To exercise any of your rights under the Data Privacy Act as described in Section 3 of this Policy, please submit a request to the june365 Data Protection Officer at the contact details provided in Section 16. Your request should include:
june365 will acknowledge your request within five (5) business days and provide a substantive response within thirty (30) calendar days. Where the complexity or volume of requests necessitates a longer period, we will notify you within the initial 30-day period and provide an estimated completion date not exceeding a further 30 days.
There is no charge for making a data subject rights request in most circumstances. Requests that are manifestly unfounded, excessive, or repetitive may be subject to a reasonable administrative fee or may be declined, with written reasons provided to you.
If you are dissatisfied with june365's response to your request, you have the right to lodge a complaint with the National Privacy Commission at [email protected] or via the NPC's official complaint portal.
The june365 Service is strictly not intended for persons under 21 years of age, consistent with PAGCOR's minimum gambling age requirement. june365 does not knowingly collect personal data from persons under 21. If we become aware that we have inadvertently collected personal data from a person under 21, we will immediately suspend the relevant account, delete the collected data, and — where applicable — report the matter to PAGCOR in accordance with our regulatory obligations.
If you are a parent or guardian and believe that a person under 21 has created a june365 account, please contact us immediately at [email protected] with the relevant account details. We will investigate and take appropriate action within 48 hours of notification.
21+ Strictly Enforced: june365 takes the PAGCOR minimum age requirement of 21 years with absolute seriousness. KYC verification is mandatory before any withdrawal, and any account found to belong to a person under 21 will be terminated immediately with all associated data deleted or reported as required by law.
june365 may send you promotional offers, bonus announcements, game launch notifications, and other marketing communications by email, SMS, or push notification, but only where you have provided explicit consent to receive such communications at registration or at a subsequent point.
You may withdraw your consent to receive marketing communications at any time by:
Opting out of marketing communications will not affect your receipt of essential service communications — including transaction confirmations, security alerts, KYC status updates, and mandatory regulatory communications — which are required for the performance of the service contract and cannot be unsubscribed from while your account remains active.
Despite our security measures, no system is entirely immune to security incidents. In the event that june365 identifies or suspects a personal data breach — defined as any accidental or unlawful destruction, loss, alteration, unauthorized disclosure of, or access to, personal data held by june365 — we will:
june365 may update this Privacy Policy from time to time to reflect changes in our data processing practices, legal or regulatory requirements, or the features of the Service. The date of the most recent update is indicated at the top of this Policy.
We will notify you of material changes to this Policy by posting a prominent notice on the Service and, where technically feasible, by sending a notification to your registered email address or mobile number. The revised Policy will take effect on the date specified in the notice.
Your continued use of the Service after the effective date of a revised Policy constitutes your acceptance of the updated terms. If you do not accept the revised Policy, you may exercise your right to close your june365 account in accordance with our Terms and Conditions.
For any questions, concerns, or requests related to this Privacy Policy or your personal data rights, please contact the june365 Data Protection Officer through the following channels:
The june365 DPO will acknowledge all data privacy requests within five (5) business days and provide a substantive response within thirty (30) calendar days. Requests that require additional verification or involve complex legal analysis may take longer, in which case we will notify you of the estimated timeline.
If you are not satisfied with june365's response to your data privacy concern, you have the right to lodge a complaint directly with the National Privacy Commission of the Philippines:
We're Here to Help: Privacy law can feel complicated, especially when it's your own data at stake. If you're a Filipino player with a question about what june365 holds about you, or you want to update, correct, or delete something — just reach out. We'll respond in plain English and walk you through exactly what we can do for you.
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