| Acceptable Use Policy (Hosting).
This document sets forth the principles, guidelines and requirements
of the Acceptable Use Policy of Hentai USA Inc.. ("Company")
governing the use by the Affiliate ("Affiliate")
of the Company's services and products ("Services and
Products"). The Purpose of Company's Acceptable Use Policy,
hereinafter referred to as the AUP, is to comply with all
federal, state, and local laws.
Company reserves the right to impose reasonable rules and
regulations regarding the use of its services provided to
all Affiliates and such rules and regulations are subject
to change. The AUP is not an all inclusive exhaustive list
and Company reserves the right to modify the AUP at any time
as needed, effective upon either the posting of the modified
AUP online or notify the Affiliate via email..
Any violation of the AUP may result in the suspension or
termination of Affiliates account(s) or such other action
as Company deems appropriate.
VIOLATION OF ANY SECTION OF THE AUP IS STRICTLY PROHIBITED
AND MAY RESULT IN THE IMMEDIATE TERMINATION AFILLIATE FROM
Any questions or comments regarding the AUP should be directed
Compliance with Law
Customer shall not post, transmit, re-transmit or store material
on or through any of Services or Products which, in the sole
judgment of the Company (i) is in violation of any local,
state, federal or non-United States law or regulation, (ii)
threatening, obscene, indecent, defamatory or that otherwise
could adversely affect any individual, group or entity (collectively,
"Persons") or (iii) violates the rights of any person,
including rights protected by copyright, trade secret, patent
or other intellectual property or similar laws or regulations
including, but not limited to, the installation or distribution
of "pirated" or other software products that are
not appropriately licensed for use by Customer. Customer shall
be responsible for determining what laws or regulations are
applicable to its use of the Services and Products.
Company will cooperate fully with any criminal investigation
into a Customer's violation of the Child Protection Act of
1984 concerning child pornography. Affiliates are ultimately
responsible for the actions over Company network, and will
be liable for illegal material posted.
According to the Child Protection Act, child pornography
includes photographs, films, video or any other type of visual
presentation that shows a person who is or is depicted as
being under the age of eighteen years and is engaged in or
is depicted as engaged in explicit sexual activity, or the
dominant characteristic of which is the depiction, for a sexual
purpose, of a sexual organ or the anal region of a person
under the age of eighteen years or any written material or
visual representation that advocates or counsels sexual activity
with a person under the age of eighteen years.
Violations of the Child Protection Act should be reported
to the U.S. Customs Agency at 1-800-BEALERT.
Company network may only be used for lawful purposes. Transmission,
distribution, or storage of any information, data or material
in violation of United States or state regulation or law,
or by the common law, is prohibited. This includes, but is
not limited to, material protected by copyright, trademark,
trade secret, or other intellectual property rights; including
creating, utilizing, distributing unauthorized copies of software,
or the use of BitTorrent or other types of technologies utilized
in the distribution of illegally copied materials. Company
will cooperate with all law enforcement agencies in relation
to alleged copyright infringement.
Repeated violations of Comapny Copyright Infringement Policy
could result in permanent suspension of Affilaite's account.
Data Unlawful or Against the AUP: Promoting violation of
the law or the AUP by hosting data that facilitates the violation
is prohibited, including but not limited to:
Web pages that detail the methodology of committing unlawful
acts, or acts violating this AUP.
Hosting software, scripts, or other resources intended to
facilitate committing unlawful acts, or acts violating this
Advertising, transmitting, storing, or using any software,
script, program, product, or service designed to violate this
Harvesting. The collection of email addresses, credit card
information, or other personal information for fraudulent
use or sale is prohibited.
Phishing. Hosting web pages with forwards to, containing scripts
or executables for, or any other component of an operation
designed to fraudulently collect authentication, credit card,
names, addresses, or any other personal data (“phishing”)
is not permitted.
Spamvertised Sites. Hosting web pages advertised by spam sent
from another network (“spamvertised”) is not permitted.
Email Spam: Company has a zero stance policy on SPAM, Junk
E-mail or UCE. Spam, Junk-mail and UCE are defined as: the
sending of the same, or substantially similar, unsolicited
electronic mail messages, whether commercial or not, to more
than one recipient. A message is considered unsolicited if
it is posted in violation of a newsgroup charter or if it
is sent to a recipient who has not requested or invited the
message. UCE also includes e-mail with forged headers, compromised
mail server relays, and false contact information. This prohibition
extends to the sending of unsolicited mass mailings from another
service, which in any way implicates the use of Company whether
or not the message actually originated from our network.
Drop-Box Accounts. Using this network for the receipt of
replies to unsolicited mass email (spam) sent from a third-party
network is prohibited.
Header Forgery: Forgery of email headers (“spoofing”)
Proxy Spamming: Spamming via third-party proxy, aggregation
of proxy lists, or installation of proxy mailing software
Relaying. Configuration of a mail server to accept and process
third-party messages for sending without user identification
and authentication is prohibited.
Mass Mailings: Sending mass unsolicited email is considered
spam. Unsolicited email is defined as email sent to a recipient
who has not double-opted in to mailings from the Customer.
Senders of mass mailings must maintain complete and accurate
records of all opt-ins, including the email and its headers
if applicable, and provide such records to Company upon request.
If positive and verifiable proof of opt-in cannot be provided,
complaints from recipients of the mailing are considered proof
they did not subscribe and the mailing is unsolicited.
Mailing Lists: Company's mass mailing rules also apply to
mailing lists, list servs, or mailing services contracted
for by Affiliate. The policy is stated as follows: An acceptable
mailing list will be focused at a targeted audience that has
voluntarily signed up for e-mail information using a double
opt-in process or that has made their e-mail address available
to Affiliate for distribution of information. The list must
also allow for automatic removal by all end Customers with
non-distribution in the future.
Suspension and Cancellation
Company will use reasonable care in notifying the Affiliate
and in resolving the problem in a method resulting in the
least amount of service interference as reasonably possible.
Company reserves the sole right to suspend service to any
Affiliate for violation of the AUP without notice. Company
reserves the right to terminate service without notice for
any violations of the AUP.
Failure to resolve the AUP violation within 48hours will
result in the following:
Removal of the violating content or service
Temporary shutdown of the Site\
Repeat violation of the above terms will result in the following
Immediate removal of site with no re-activation.