Privacy Policy
Please note that the Privacy Policy was last revised on Nov 13, 2025
1. General
SEL DEVELO, Inc. (“SEL DEVELO,” “we,” “our,” or “us”) is committed to maintaining robust privacy protections for all users — including students, educators, parents, and school districts — who access our platform, products, or services. This Privacy Policy (“Policy”) explains how we collect, use, disclose, and safeguard your information, and how we comply with applicable student-data privacy, security, and child-safety laws.
This Policy applies to all of SEL DEVELO’s digital properties and services, including www.seldevelo.com, growthlab.seldevelo.com, related subdomains, and any future applications or “Lab” platforms operated by SEL DEVELO.
By accessing or using our websites, applications, or any related digital services (collectively, the “Service”), you consent to the practices and terms described in this Policy. If you do not agree with these terms, please discontinue use of the Service.
SEL DEVELO’s mission is to create research-driven tools that strengthen emotional intelligence, accountability, and personal growth while protecting privacy and promoting digital well-being. We design all of our platforms — including those intended for minors — in accordance with FERPA, COPPA, SOPPA, and other state and federal education privacy laws. We never sell personal data, and we only collect the minimum information necessary to deliver educational value, measure learning outcomes, and ensure a safe, secure experience for every user.
a. Encryption and User Content Privacy
Certain areas of the Service (including journals, reflections, or other user-generated entries) are encrypted or otherwise protected so that SEL DEVELO cannot view or access the personal content you create. Because these entries are private and unreadable to us, we are not responsible or liable for the substance, accuracy, or legality of any user-generated material entered, uploaded, or stored within encrypted components of the Service. Users, educators, and institutions remain solely responsible for the information they choose to input or share. For additional details, please refer to Section 7 (“User Content, Submissions, and Intellectual Property”) of our Terms and Conditions of Service.
2. Information We Collect
We collect “Personal Information” and “Non-Personal Information.”
Personal Information includes data that can identify an individual — such as a name, email address, school affiliation, class ID, or parent/guardian contact — and, in student contexts, may include limited educational records as defined by the Family Educational Rights and Privacy Act (FERPA).
Non-Personal Information includes aggregated or anonymized usage data, device type, browser information, approximate location, time-on-page, and engagement metrics used to evaluate and improve the Service.
a. Information Collected via Technology
We automatically gather standard analytics information through cookies and similar technologies to measure usage and improve performance. Examples include:
• Device type and operating system
• Browser type and settings
• Pages viewed and actions taken within Growth Lab
• Time spent on lessons or activities (for progress tracking)
• IP address (used solely for security, diagnostics, and regional analytics)
We never use behavioral advertising cookies, cross-site trackers, or sell student or educator data to third parties. We use only strictly necessary and performance cookies, always in compliance with COPPA, SOPIPA, and other applicable student-data regulations.
Encryption Note: Certain user interactions — such as journal entries, reflections, or other personal responses — may be locally encrypted or stored in a manner that prevents SEL DEVELO from viewing the underlying content. Such encrypted data is excluded from analytics processing and cannot be read or interpreted by us.
b. Information You Provide to Us
When creating an account, educators, students, or parents may provide basic registration details such as:
• Name, username, and password
• Email address or school login credentials
• Grade level or classroom assignment (for student accounts)
• Communication or accessibility preferences
Educators and administrators may also provide optional school or district information to configure dashboards and manage organization-level accounts.
We do not request or collect sensitive categories of data (such as health, biometric, or financial information) unless explicitly required for a verified educational or accessibility purpose.
User-Generated Content and Liability: Some areas of the Service allow users to input or upload their own reflections, journal notes, or creative responses. Because many of these entries are encrypted and unreadable to SEL DEVELO, we are not liable for the content, accuracy, or legal compliance of user-generated material. Users, educators, and institutions remain responsible for ensuring that information they voluntarily submit complies with applicable laws and policies. For additional detail, see Section 7 (“User Content, Submissions, and Intellectual Property”) of our Terms and Conditions of Service.
c. Children’s and Student Privacy
Our Service supports learning for students under 18 and is designed in compliance with:
• Children’s Online Privacy Protection Act (COPPA)
• Family Educational Rights and Privacy Act (FERPA)
• California Student Online Personal Information Protection Act (SOPIPA)
• Children’s Internet Protection Act (CIPA)
• Other applicable U.S. and state privacy laws.
We collect only the minimum amount of personally identifiable information necessary to provide educational services, and only with verified parental consent or through a school or district under a written Data Privacy Agreement (DPA). Students cannot create accounts independently outside school or verified guardian authorization. If we learn that student data has been collected without proper consent, we will promptly delete the information and notify the relevant school or guardian.
SEL DEVELO does not condition participation in any educational activity on unnecessary data disclosure. No student will ever be denied access to learning opportunities for refusing optional data collection.
3. How We Use and Process Information
a. Personal Information
We use Personal Information to:
• Provide, personalize, and maintain the Growth Lab™ learning experience.
• Support educators and administrators with analytics dashboards, student progress summaries, and reporting tools.
• Communicate important product updates, feature improvements, support responses, and service announcements.
• Maintain account security, verify identity, and prevent unauthorized access or misuse.
• Enable district-level reporting where required by contract, ensuring anonymization wherever feasible and compliant.
We do not sell or rent Personal Information.
We may share limited information with trusted service providers who perform essential operational functions (such as secure hosting, authentication, data storage, and email delivery) under strict written data-processing agreements that prohibit secondary use or disclosure.
All third-party vendors must meet SOC 2, ISO 27001, or comparable security certification standards, and are subject to continuous review to ensure compliance with FERPA, COPPA, and relevant state-level laws. We may disclose Personal Information only if required by law, regulation, or valid legal process, or when necessary to protect the safety, rights, or property of users, schools, or the public.
b. Non-Personal Information
We may use aggregated, anonymized, or de-identified data for legitimate educational purposes, including internal research, performance analytics, product improvement, and outcome reporting to school or district partners. All such data is stripped of personal identifiers prior to analysis or publication. We may also share de-identified insights with accredited research institutions or educational agencies to advance the study of social-emotional learning and educational technology, provided such data cannot reasonably be traced to any individual.
4. How We Protect Information
We use industry-standard administrative, technical, and physical safeguards to protect your data and ensure its confidentiality, integrity, and availability. These safeguards include encryption in transit and at rest, secure authentication practices, regular vulnerability and penetration testing, enterprise-grade firewalls, and access controls limited to authorized personnel.
Note: Areas of the Service designed for personal journaling, reflection, or self-guided emotional processing are encrypted to ensure privacy. These encrypted entries cannot be accessed or viewed by SEL DEVELO, maintaining user confidentiality while upholding security standards.
All access to production systems is logged and periodically reviewed to prevent unauthorized activity.
All employees and contractors handling data complete annual privacy and security training, and SEL DEVELO performs background checks on individuals with access to student or confidential information.
We maintain a documented Incident Response Plan, which is tested and reviewed annually to ensure rapid identification, containment, and resolution of potential risks. If a data breach or security incident occurs, SEL DEVELO will notify affected parties, districts, and relevant institutions within the legally required timeframes, consistent with FERPA, COPPA, SOPPA, and applicable state data-breach laws. All breach notifications will include a description of the nature of the data affected, the mitigation steps taken, and contact information for follow-up and assistance. SEL DEVELO also conducts a full post-incident review to identify root causes and implement preventive improvements.
5. Your Rights and Choices
SEL DEVELO believes that transparency and control over personal information are essential to building trust. We provide all users — including students, parents, educators, and administrators — with rights that align with FERPA, COPPA, SOPPA, and other applicable privacy laws.
a. Access and Correction
Schools, educators, and parents may request access to, review, correct, or delete data associated with their accounts.
Students and guardians will receive assistance through their school or verified parent account to ensure requests are properly authenticated.
Note: Certain user-generated reflections or journal entries are encrypted and cannot be decrypted or viewed by SEL DEVELO. Accordingly, these encrypted materials may not be retrievable or editable through access requests, as they are intentionally private and unreadable to us.
b. Data Retention
We retain student data only as long as the account remains active or as required for educational, contractual, or legal purposes, after which the data is securely deleted.
All deletion processes follow verified destruction protocols to ensure data cannot be reconstructed or retrieved.
c. Marketing and Communication Preferences
SEL DEVELO does not market directly to students or minors. Adults and educators may opt out of any non-essential or promotional communications at any time by using the unsubscribe link in an email or by contacting us directly.
Transactional or service-related notices (e.g., password resets, legal updates) cannot be disabled because they are essential to account security and compliance.
d. Right to Portability
Upon verified request, we will export student or educator data in a structured, commonly used, and machine-readable format so that it can be transferred to another district, platform, or institution at the user’s or district’s request.
e. Submitting Requests
Requests may be submitted at any time via privacy@seldevelo.com. We verify the identity and authority of every requestor and coordinate directly with districts to ensure that all requests are handled in accordance with FERPA and relevant state laws.
We respond to all verified requests within the timelines required by applicable law, typically within 30 days.
6. Links and Third-Party Services
Our website and learning platforms may include links to external resources, such as educational partners, research organizations, or official social-media channels. These links are provided for informational purposes only. SEL DEVELO is not responsible for the privacy practices, security standards, or content of any external websites or services. We encourage users to review each external site’s privacy policy before providing any personal information or engaging with its content.
Note: Any reflections, comments, or shared materials voluntarily posted or transmitted outside of SEL DEVELO’s encrypted environment are governed by the third-party platform’s policies. SEL DEVELO cannot view, control, or be held liable for such external communications or disclosures.
To protect our users, SEL DEVELO does not permit advertising trackers, remarketing pixels, or third-party cookies that collect personal data through our Service. Any analytics tools we use are limited to first-party performance measurement and comply fully with FERPA, COPPA, and other applicable data-protection laws.
7. Federal Compliance Summary
SEL DEVELO complies with all relevant federal student and child data privacy laws, including FERPA, COPPA, SOPIPA, and related frameworks. Detailed statements on these laws and how SEL DEVELO meets each can be found on our dedicated compliance pages.
8. State and Territorial Compliance Overview
SEL DEVELO, Inc. operates nationally and follows all applicable federal and state student privacy laws. Where specific state statutes exist, we meet or exceed those requirements. We default to the most protective standard when multiple jurisdictions overlap.
A. States with Explicit Student Privacy Statutes
Our practices are fully aligned with the following laws and regulations. Each citation represents the primary statute governing K-12 student information, educational-technology privacy, or education-record data use within that state.
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Alabama: Student Data Protection Act (Ala. Code §16-2-40 et seq.)
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Alaska: Student Data Privacy and Protection Guidelines (AS 14.03.115; DEED Policy 2020-05)
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Arizona: Student Data Privacy Law (A.R.S. §15-1046 et seq.)
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Arkansas: Student Online Personal Information Protection Act
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California: Student Online Personal Information Protection Act (SOPIPA, Cal. Bus. & Prof. Code §22584 et seq.); California Consumer Privacy Act (CCPA) and California Privacy Rights Act (CPRA)
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Colorado: Student Data Transparency and Security Act (HB 16-1423)
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Connecticut: Student Data Privacy Act (PA 16-189)
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Delaware: Student Data Privacy Protection Act (Title 14, Ch. 81C)
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Florida: Student Privacy and Parental Rights (F.S. §1002.22 and §1002.421)
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Georgia: Student Data Privacy, Accessibility, and Transparency Act (SB 89)
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Hawaii: Student Information Privacy Act (HRS §302A-1129 et seq.)
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Idaho: Student Data Accessibility, Transparency, and Accountability Act (Idaho Code §33-133)
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Illinois: Student Online Personal Protection Act (SOPPA, 105 ILCS 85/)
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Indiana: Student Data Privacy and Security Policy (IC 20-32-8.5)
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Iowa: Student Data Protection Act (Iowa Code §256.9 and §279.76)
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Kansas: Student Data Privacy Act (K.S.A. 72-6319 et seq.)
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Kentucky: Student Information Security Law (KRS 365.734)
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Louisiana: Student Privacy Act (La. R.S. §17:3914)
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Maine: Student Information Privacy Act (20-A M.R.S. §951 et seq.)
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Maryland: Student Data Privacy Act of 2015 (ED §4-131 et seq.)
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Massachusetts: Student Records Regulations (603 CMR 23.00)
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Michigan: Student Online Personal Information Protection Act (Act 90 of 2019)
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Minnesota: Government Data Practices Act (Minn. Stat. Ch. 13)
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Mississippi: Student Data Accessibility and Transparency Act (Miss. Code Ann. §37-16-9)
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Missouri: Student Data Transparency and Security Act (Mo. Rev. Stat. §161.096 et seq.)
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Montana: Student Online Personal Information Protection Act (20-2-511 MCA)
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Nebraska: Student Data Privacy and Protection Guidelines (Rule 10 §003.12)
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Nevada: Student Data Privacy Law (NRS §388.281)
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New Hampshire: Student Online Personal Information Act (RSA 189:68 et seq.)
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New Jersey: Student Data Privacy Law (N.J.S.A. 18A:36-39)
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New Mexico: Student Data Privacy Act (NMSA §22-21-1 et seq.)
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New York: Education Law §2-d and Part 121 Regulations
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North Carolina: Student Online Privacy Protection Act (N.C. Gen. Stat. §115C-401.2)
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North Dakota: Student Data Privacy Law (N.D. Cent. Code §15.1-07-35)
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Ohio: Student Data Privacy Act (R.C. 3319.321 and R.C. 3319.324)
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Oklahoma: Student Data Accessibility, Transparency, and Accountability Act (70 O.S. §3-168)
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Oregon: Student Information Protection Act (ORS §326.565 et seq.)
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Pennsylvania: Student Data Privacy Act (24 P.S. §301.1 et seq.; pending finalization)
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Rhode Island: Student Privacy Act (R.I. Gen. Laws §16-104-1 et seq.)
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South Carolina: Student Online Personal Information Protection Act (SOPIPA SC Code §59-1-490)
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South Dakota: Student Privacy and Transparency Act (S.D. Codified Laws §13-3-51 et seq.)
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Tennessee: Student Data Accessibility, Transparency, and Accountability Act (Tenn. Code Ann. §49-1-701 et seq.)
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Texas: Education Code §32.151 et seq. (Student Data Privacy and Security Act)
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Utah: Student Data Protection Act (Utah Code §53E-9-301 et seq.)
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Vermont: Student Online Personal Information Protection Act (9 V.S.A. §2430 et seq.)
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Virginia: Student Data Privacy Act (Va. Code §22.1-289.01)
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Washington: Student User Privacy in Education Rights (SUPER) Act (RCW 28A.604)
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West Virginia: Student Data Accessibility, Transparency, and Accountability Act (W. Va. Code §18-2-5h)
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Wisconsin: Student Data Privacy and Parental Rights (Wis. Stat. §118.125)
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Wyoming: Student Data Privacy Act (Wyo. Stat. §21-13-315)
B. District of Columbia and U.S. Territories
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District of Columbia: Student Data Privacy Amendment Act of 2018 (D.C. Code §38-831 et seq.)
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Puerto Rico: Department of Education Student Information Privacy Policy (Title 18 L.P.R.A. §1 et seq.)
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Guam: Guam Department of Education Information Security Standards (Policy 600)
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U.S. Virgin Islands: Department of Education Data Privacy Guidelines (Title 17 V.I.C. §3)
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American Samoa and Northern Mariana Islands: Compliance with U.S. Department of Education privacy frameworks and territorial education acts.
C. Universal Protections Across All States and Territories
Regardless of jurisdiction, SEL DEVELO guarantees the following baseline protections nationwide:
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We collect only the minimum data necessary for educational purposes.
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We never sell, rent, or share student data with advertisers or data brokers.
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All data is stored on secure, U.S.-based servers and encrypted both at rest and in transit.
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We comply with all federal and state data-breach notification laws, including those requiring notice within 30 days (or sooner where law requires).
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We execute Data Privacy Agreements (DPAs) or Data Sharing Agreements (DSAs) with districts and agencies when required.
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Parents and eligible students have the right to access, correct, or delete records, consistent with FERPA and applicable state law.
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We publish or provide upon request a list of districts with signed DPAs where required (e.g., Illinois SOPPA).
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When operating across multiple states or territories, we always adhere to the most protective applicable standard.
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SEL DEVELO maintains a dedicated Privacy and Compliance Officer responsible for monitoring state-law updates, coordinating district renewals, and overseeing annual compliance audits.
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We conduct regular vendor and sub-processor reviews to ensure continued alignment with state-specific data-protection requirements and educational data-governance standards.
11. International Compliance (Future Readiness)
While SEL DEVELO, Inc. currently serves U.S.-based institutions, our infrastructure and governance framework are designed for global privacy scalability.
As international operations expand, we will implement localized safeguards that meet or exceed the privacy requirements of each jurisdiction.
a. European Union and United Kingdom
SEL DEVELO will comply with the EU General Data Protection Regulation (GDPR) and the UK Data Protection Act 2018.
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EU Standard Contractual Clauses (SCCs) and the UK International Data Transfer Addendum will govern all cross-border transfers.
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European users will retain full data-subject rights—including access, correction, erasure, portability, and objection—under Articles 12–23 of the GDPR.
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A regional Data Protection Officer (DPO) and EU representative will be appointed prior to any processing of EU-resident data.
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Where required, SEL DEVELO will maintain an EU-hosted infrastructure for educational data originating in the European Economic Area.
b. Finland and Nordic Countries
SEL DEVELO recognizes that Finland, Sweden, Norway, Denmark, and Iceland apply the EU General Data Protection Regulation (GDPR) under national implementations such as Finland’s Data Protection Act (1050/2018).
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We will align all future Nordic operations with the guidance of the Office of the Data Protection Ombudsman (Tietosuojavaltuutetun toimisto) and respective education authorities.
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Our educational tools will comply with regional standards for student well-being, safety, and ethical AI, consistent with Nordic pedagogical principles and national education frameworks.
SEL DEVELO’s curriculum and design principles are also inspired by the Nordic model of holistic education, emphasizing emotional intelligence, creativity, and social responsibility alongside academic growth.
c. Canada and Other Jurisdictions
SEL DEVELO will comply with Canada’s Personal Information Protection and Electronic Documents Act (PIPEDA), as well as provincial frameworks such as FIPPA and MFIPPA.
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For Australia and New Zealand, operations will align with the Australian Privacy Principles (APPs) and the New Zealand Privacy Act 2020.
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All international data will be processed through approved transfer mechanisms (e.g., SCCs, adequacy decisions) and, where feasible, stored within the originating region to respect data-sovereignty expectations.
d. Transparency and Choice
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International users will receive localized privacy notices and consent flows during sign-up, available in their preferred language.
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A publicly available International Privacy Addendum will outline lawful bases for processing, retention, and cross-border safeguards.
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All cross-border transfers will undergo Data Protection Impact Assessments (DPIAs) to document risk assessments and mitigation measures.
e. Continuous Improvement and Monitoring
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SEL DEVELO engages external privacy counsel and global compliance experts annually to review and certify cross-border operations.
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Regulatory changes are tracked through continuous legal-watch programs to ensure timely updates to international policies and contractual commitments.
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Our commitment is to uphold the highest applicable standard of protection—regardless of geography, applying the same integrity, transparency, and safety principles worldwide.
11. Data Governance and Audit Practices
SEL DEVELO, Inc. upholds a comprehensive data-governance and accountability framework designed to protect every record entrusted to us by students, educators, and districts.
Our governance program combines technical safeguards, administrative controls, and transparent oversight mechanisms that meet or exceed the standards used by major educational-technology providers.
a. Security Standards and Framework Alignment
SEL DEVELO’s information-security program aligns with recognized best-practice frameworks, including NIST SP 800-171, ISO 27001, and the CIS Critical Security Controls.
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All personally identifiable information (PII) is encrypted at rest using AES-256 and encrypted in transit via TLS 1.3 or higher.
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Access to production environments follows the principle of least privilege and requires multi-factor authentication.
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Endpoint devices and servers are continuously monitored through centralized SIEM logging, intrusion detection, and threat-intelligence feeds.
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Backups are encrypted, geographically redundant, and tested quarterly for integrity and rapid recovery.
b. Audit and Oversight
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Independent third-party security audits and penetration tests are conducted annually; executive summaries may be provided to verified district partners upon request.
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Quarterly internal privacy audits verify compliance with FERPA, COPPA, SOPPA, and active Data Privacy Agreements (DPAs).
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All system-access events are logged and retained for at least twelve months to support forensic traceability.
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District partners may, under a nondisclosure agreement (NDA), request data-flow diagrams and policy documentation for procurement or risk-assessment purposes.
c. Vendor and Sub-Processor Management
SEL DEVELO maintains a current register of all subprocessors, available upon written request.
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Every vendor undergoes due-diligence screening, provides SOC 2 Type II or equivalent certification, and re-certifies annually.
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All vendor contracts require adherence to SEL DEVELO’s privacy, security, and breach-notification obligations, ensuring alignment throughout the supply chain.
d. Data Retention and Minimization
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Student data is retained only for active educational use and securely deleted or anonymized once no longer required.
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Inactive records are flagged for deletion after twelve months, unless district contracts specify otherwise.
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Pseudonymization and aggregation techniques are applied wherever feasible to minimize exposure risk and preserve privacy.
e. Accountability and Training
All individuals with access to data complete annual privacy-and-security certification and background checks appropriate to their role.
SEL DEVELO designates a Privacy and Compliance Officer (currently fulfilled by the Founder & CEO until formal appointment) who reports directly to executive leadership and oversees compliance, incident response, and ongoing training.
Executive-level reviews of all audit findings occur bi-annually to ensure continual improvement and accountability at the highest organizational level.
12. Student Safety and Digital Citizenship
At the heart of Growth Lab — and every SEL DEVELO product — is a commitment to student well-being, psychological safety, and positive digital citizenship.
We embed safety-by-design principles into every feature so that educators can focus on learning, not risk management.
Every decision we make, from UI design to data-handling, prioritizes the emotional and physical safety of learners.
a. Safety-by-Design Principles
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Each feature undergoes a safety and content-risk assessment before release.
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Growth Lab contains no open social networking, public chat, or unmoderated sharing tools.
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AI-based moderation filters detect bullying, harassment, self-harm language, or inappropriate content in real time.
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Human moderators review all flagged content within 24 hours, following verified escalation workflows.
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Teachers and administrators control classroom visibility, student-to-student interactions, and activity settings to maintain an age-appropriate environment.
b. Compliance with CIPA and Mandated-Reporter Standards
The platform fully supports compliance with the Children’s Internet Protection Act (CIPA) and all relevant local acceptable-use policies.
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Educators receive real-time access to flagged safety alerts through secure dashboards.
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When potential threats, self-harm indicators, or abuse-related disclosures arise, SEL DEVELO cooperates promptly with designated school authorities, consistent with mandated-reporter laws and applicable privacy frameworks.
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All such responses are handled confidentially, with sensitivity to the student’s welfare and legal obligations.
c. Psychological Safety and Well-Being
Growth Lab integrates evidence-based social-emotional learning (SEL) lessons that foster empathy, mindfulness, and resilience.
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No gameplay or progression system that uses punitive scoring, public comparison, or negative feedback mechanisms.
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Features such as Zen Space, Mindful Moments, and reflection prompts encourage self-regulation, gratitude, and emotional literacy.
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The curriculum promotes an inclusive environment where students can practice kindness, self-awareness, and responsible technology use.
d. Incident Response and Escalation
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A dedicated Safety Team monitors platform activity and investigates all flagged incidents within 24 hours.
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Verified incidents trigger documented internal review, root-cause analysis, and corrective action to prevent recurrence.
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Incident logs and resolutions are retained for two years to ensure transparency and audit readiness.
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Safety findings are periodically reviewed to update policies, improve moderation algorithms, and refine educator resources.
e. Partnership and Education
SEL DEVELO collaborates with licensed counselors, psychologists, and SEL researchers to continuously refine our safety and well-being practices.
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Annual safety-training webinars and educator resources help schools model responsible digital-citizenship principles in the classroom.
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Feedback from schools and districts directly informs updates to moderation tools, curriculum design, and student support systems.
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SEL DEVELO is committed to a living safety framework — one that evolves alongside educational needs and emerging digital challenges.
13. Updates to This Privacy Policy
SEL DEVELO may update this Privacy Policy from time to time to reflect new features, improvements in our services, or changes required by law or regulation. When material updates occur, we will:
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Provide advance notice of at least thirty (30) days by email to registered administrators and by posting a clear notice on our website;
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Identify the effective date of the new version at the top of this page; and
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Maintain an archive of prior versions for historical and compliance reference.
Continued use of our Services after the effective date constitutes acceptance of the revised Policy.
If changes materially affect student-data rights or data-sharing terms, SEL DEVELO will coordinate directly with participating districts or organizations to ensure ongoing compliance with FERPA, COPPA, SOPPA, and relevant state laws.
14. Contact Us
SEL DEVELO, Inc. is the data controller for all information collected through its websites and educational platforms within the United States.
Our headquarters are located at:
SEL DEVELO, Inc.
1449 S Michigan Ave, Suite 13194
Chicago, Illinois 60605
United States of America
Phone: +1 (312) 508-3109
For all privacy inquiries, questions regarding this Privacy Policy, or concerns related to student safety or data protection, please contact our Privacy and Compliance Officer at:
privacy@seldevelo.com
For partnership or district-related compliance matters, please email:
schools@seldevelo.com
For general support, please visit:
If SEL DEVELO expands internationally, regional Data Protection Officers (DPOs) and contact points for the EU, UK, or other jurisdictions will be listed here and on our International Compliance Addendum page.
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Last revised on Nov 13, 2025
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