Privacy policy

PRIVACY POLICY 
Last updated: July 2026

This Privacy Policy explains how personal data are collected, used, stored and protected when you visit nadpremium.com, contact us or purchase products offered through:

NAD*PREMIUM — premium alcohol-free beverages;
BEYOND* — selected alcoholic wines.

Both identities are curated by Jean Hick and operated through the same technical, commercial, financial and international logistics structure.

1. Data Controller

The controller responsible for your personal data is:

LIGRES & PARTNERS LTD.
167–169 Great Portland Street
London W1W 5PF, United Kingdom
Company registration number: 14964549
E-mail: info@nadpremium.com

NAD*PREMIUM and BEYOND* are commercial and editorial identities operated by the controller above.

Where required by applicable law, the details of an EU or other local representative will be made available here:

EU representative: --

2. Personal Data We Collect

Depending on how you interact with us, we may collect:

  • identity details, including name and date or confirmation of age where required;
  • contact details, including email address, telephone number and billing or delivery address;
  • order information, including products purchased, recipient details, returns and delivery status;
  • payment and transaction information, excluding complete card credentials processed directly by payment providers;
  • account information, login details and preferences;
  • communications sent through email, chat, forms or customer support;
  • customs, tax or age-verification information where required for international or alcoholic-product orders;
  • technical information, including IP address, browser, device, cookie identifiers and website activity;
  • marketing preferences and consent records;
  • information supplied in connection with producer, business, press or editorial enquiries.

We may also receive limited information from payment providers, carriers, customs representatives, fraud-prevention services and other partners involved in completing a transaction.

3. Why We Use Personal Data


We process personal data to:

  • manage accounts, enquiries and customer support;
  • process payments, orders, deliveries, returns and refunds;
  • verify age and destination eligibility for BEYOND* alcoholic products;
  • complete customs, taxation, excise and international shipping procedures;
  • provide product, delivery and service communications;
  • prevent fraud, misuse and security incidents;
  • maintain and improve the website and customer experience;
  • comply with accounting, tax, regulatory and legal obligations;
  • establish, exercise or defend legal claims;
  • send newsletters or promotional communications where permitted;
  • analyse website usage through optional cookies and similar technologies.

We do not use personal data for purposes incompatible with those described in this Policy without providing further information or obtaining consent where required.

4. Legal Bases

Depending on the purpose, we rely on:

  • contractual necessity, to process orders and provide requested services;
  • legal obligations, including tax, accounting, consumer, customs and alcohol-related requirements;
  • legitimate interests, including security, fraud prevention, service improvement and protection of our business;
  • consent, for optional marketing, non-essential cookies and other activities where consent is required;
  • legal claims or substantial public interest, where applicable under the relevant legislation.

Where processing is based on consent, consent may be withdrawn at any time without affecting processing already carried out lawfully.

5. Age Verification and Alcoholic Products

BEYOND* products contain alcohol unless expressly stated otherwise.

We may process age-confirmation or identification information where necessary to verify that the purchaser or recipient meets the legal age requirements of the relevant country.

Identification documents should be collected only where necessary and retained for no longer than required for verification, legal compliance or dispute management.

We do not knowingly accept alcoholic-product orders from minors.

6. Payments

Payments are processed by authorised external payment providers.

We may receive transaction status, payment method, billing references and fraud-prevention results, but we do not directly store complete payment-card numbers or security codes.

Payment providers process certain data under their own privacy notices and legal responsibilities.

7. Cookies and Similar Technologies

Essential cookies are used to provide website functions such as security, navigation, language preferences, shopping cart and checkout.

Analytics, personalisation or marketing cookies are used only where permitted and, where required, after consent through the cookie banner.

Preferences may be reviewed or withdrawn through the cookie settings. Further information is provided in the Cookie Policy.

8. Sharing Personal Data

Personal data may be shared, only where necessary, with:

  • hosting, e-commerce and IT providers;
  • payment processors and financial institutions;
  • carriers, fulfilment providers and delivery partners;
  • suppliers or manufacturers involved in direct order fulfilment;
  • customs agents, tax advisers and public authorities;
  • age-verification and fraud-prevention providers;
  • professional advisers, insurers and auditors;
  • marketing and analytics providers where legally permitted;
  • courts, regulators or law-enforcement bodies where disclosure is required.

Service providers acting on our behalf are required to process personal data under appropriate contractual, confidentiality and security obligations.

We do not sell personal data for monetary consideration.

9. International Data Transfers

Personal data may be processed in the United Kingdom, the European Economic Area and other countries in which our service providers, suppliers or logistics partners operate.

Where a transfer is not covered by an applicable adequacy decision or regulation, we use appropriate safeguards where required, which may include:

  • European Commission Standard Contractual Clauses;
  • the UK International Data Transfer Agreement;
  • the UK Addendum to the EU Standard Contractual Clauses;
  • supplementary technical, organisational or contractual measures.

Information about the safeguards applicable to a particular transfer may be requested at info@nadpremium.com.

UK restricted transfers may require an adequacy mechanism or appropriate safeguards such as the IDTA or UK Addendum, together with the relevant transfer assessment.

10. Data Retention

Personal data are retained only for as long as reasonably necessary for the relevant purpose.

Indicative periods include:

  • order, invoice and accounting records: for the period required by applicable tax and accounting law, which may be up to ten years;
  • customer-service communications: normally up to three years after closure of the request;
  • account data: while the account remains active and for a reasonable period afterwards;
  • marketing records: until consent is withdrawn or an objection is received, subject to maintaining a suppression record;
  • cookie and analytics data: according to the periods specified in the cookie settings;
  • age-verification data: only for the period necessary to complete verification and satisfy legal or dispute requirements;
  • unsuccessful or abandoned order information: for a limited period required for security, fraud prevention and customer assistance.

Data may be retained longer where necessary for legal proceedings, regulatory investigations or the establishment, exercise or defence of legal claims.

After the applicable period, data are deleted, anonymised or securely restricted.

11. Data Security

We apply proportionate technical and organisational measures designed to protect personal data against unauthorised access, alteration, disclosure, loss or destruction.

These may include access controls, encryption, secure payment systems, backups, provider assessments and internal confidentiality procedures.

No internet or storage system can guarantee absolute security. Customers should protect their login details and notify us promptly of suspected unauthorised access.

12. Your Rights

Depending on the applicable law and legal basis, you may have the right to:

  • be informed about the processing of your data;
  • access your personal data;
  • correct inaccurate or incomplete data;
  • request deletion;
  • request restriction of processing;
  • object to processing, including direct marketing;
  • receive certain data in a portable format;
  • withdraw consent;
  • request review of certain automated decisions;
  • lodge a complaint with a supervisory authority.

These rights are not absolute and may be subject to statutory conditions or exemptions. The GDPR recognises rights including information, access, rectification, erasure, restriction, portability and objection.

Requests may be sent to: info@nadpremium.com

We may request information necessary to verify identity. Valid GDPR requests must generally be answered without undue delay and, in principle, within one month.

13. Marketing Communications

We send promotional communications only where permitted by law, including where consent has been given or an existing-customer relationship allows relevant communications.

You may unsubscribe at any time through the link contained in the message or by contacting us.

Withdrawal from marketing does not prevent essential communications concerning orders, security, contracts or legal matters.

14. Automated Decision-Making

We do not currently make decisions based solely on automated processing that produce legal or similarly significant effects on customers.

Fraud-prevention or payment providers may use automated tools to assess transaction risk. Where such processing is controlled by an external provider, its own privacy information may also apply.

If our use of significant automated decision-making changes, this Policy will be updated and the information required by law will be provided.

15. Children and Minors

The website is not directed to children.

We do not knowingly collect personal data from children without an appropriate legal basis or parental involvement where required.

Orders for alcoholic BEYOND* products are restricted to persons who satisfy the applicable legal-age requirements.

If you believe that a minor has provided personal data improperly, please contact us.

16. Complaints

You may first contact us at: info@nadpremium.com

You also have the right to lodge a complaint with the competent supervisory authority.

For the United Kingdom: Information Commissioner’s Office — ICO

Individuals in the European Economic Area may contact the data-protection authority in the country where they live, work or believe an infringement occurred. Privacy notices should identify the right to complain to a supervisory authority and, where appropriate, the ICO.

17. Privacy Laws Outside the UK and EU

Where privacy laws outside the United Kingdom or European Economic Area apply to our activities, we will process requests and personal data in accordance with the rights and obligations applicable in that jurisdiction.

References to laws such as the California Consumer Privacy Act or Canadian privacy legislation do not imply that every provision applies to every visitor or transaction.

18. Changes to This Policy

We may update this Policy to reflect legal, technological or operational developments.

The current version and its effective date will remain available on this page. Material changes may also be communicated through the website or by email where appropriate.

19. Contact

LIGRES & PARTNERS LTD. 
167–169 Great Portland Street
London W1W 5PF, United Kingdom

E-mail: info@nadpremium.com
Contact form: nadpremium.com/contact

Please indicate whether your request concerns NAD*PREMIUM, BEYOND* or the processing of personal data generally.