jillik is committed to protecting your personal data and your right to privacy. This Policy explains what information we collect, why we collect it, how we use it, and the rights you hold as a jillik player under Philippine law.
IMPORTANT: This Privacy Policy ("Policy") describes how jillik ("jillik", "we", "us", "our") collects, uses, stores, shares, and protects the personal data of users ("Player", "you", "your") of the jillik.vip platform and all associated services. By registering an account or using jillik, you acknowledge that you have read and understood this Policy and consent to the processing of your personal data as described herein.
This Policy is compliant with Republic Act No. 10173, the Data Privacy Act of 2012 of the Philippines, and its Implementing Rules and Regulations (IRR) as administered by the National Privacy Commission (NPC).
This Privacy Policy applies to all personal data collected, processed, and stored by jillik in connection with your use of the jillik platform, including when you register an account, make deposits or withdrawals, place bets, communicate with customer support, participate in promotions, or simply visit the jillik website.
This Policy should be read alongside jillik's Terms & Conditions and Responsible Gaming Policy, which together govern your relationship with the jillik platform. In the event of any inconsistency between this Policy and any other document, this Policy prevails in respect of personal data matters.
jillik takes data privacy seriously — not merely because Philippine law requires it, but because protecting the information you share with us is fundamental to earning and maintaining your trust as a jillik player. We are committed to processing your data lawfully, fairly, and transparently.
For purposes of the Data Privacy Act of 2012 (RA 10173) and its IRR, jillik acts as the Personal Information Controller (PIC) in respect of personal data collected through the jillik.vip platform.
This means jillik determines the purposes for which your personal data is processed and the means by which that processing takes place. Where jillik engages third-party service providers to process data on its behalf — such as payment processors, identity verification providers, and cloud infrastructure partners — those parties act as Personal Information Processors (PIPs) and are bound by contractual data processing agreements that impose obligations consistent with this Policy and applicable Philippine law.
jillik has designated a Data Protection Officer (DPO) responsible for overseeing compliance with RA 10173. Contact details for the jillik DPO are provided in Section 15 of this Policy.
jillik collects the following categories of personal data from players and platform users:
jillik collects personal data through the following primary channels:
jillik processes your personal data only for lawful purposes. The table below summarises the primary purposes for which jillik uses your data and the corresponding legal basis for each purpose.
| Purpose of Processing | Data Categories Used | Legal Basis (RA 10173) |
|---|---|---|
| Account registration and management | Identity, contact, KYC documents | Contract performance; Legal obligation |
| Age verification (21+ requirement) | Date of birth, KYC documents, selfie | Legal obligation; Legitimate interests |
| Processing deposits and withdrawals | Financial data, transaction records | Contract performance |
| Anti-Money Laundering (AMLA) compliance | Identity, financial, transaction data | Legal obligation (RA 9160 as amended) |
| Game delivery and platform operation | Gaming activity, technical data | Contract performance |
| Fraud prevention and account security | Technical, device, login data | Legitimate interests |
| Responsible gaming monitoring | Gaming activity, financial data | Legal obligation; Legitimate interests |
| Customer support communications | Identity, communications data | Contract performance; Legitimate interests |
| Marketing and promotional communications | Identity, contact, gaming activity | Consent (opt-in only) |
| Regulatory reporting | Identity, financial, gaming data | Legal obligation |
| Platform analytics and improvement | Technical data (aggregated/anonymised) | Legitimate interests |
jillik does not use your personal data for any purpose incompatible with those listed above without your prior consent, except where required by applicable law.
Under the Data Privacy Act of 2012 (RA 10173), jillik processes personal data on the following legal grounds as applicable:
jillik does not sell, rent, or trade your personal data to any third party for their own commercial purposes. Your data is shared only in the following circumstances and only to the extent necessary for the stated purpose:
jillik engages trusted third-party service providers — acting as Personal Information Processors under RA 10173 — to support platform operations. These include identity verification providers, payment processors (GCash, Maya, BPI, BDO, UnionBank), cloud hosting and infrastructure services, fraud prevention and cybersecurity providers, customer support platform providers, and analytics services. All PIPs are bound by written data processing agreements requiring them to protect your data to the same standard as jillik.
jillik's game library includes titles and live dealer studios from third-party providers. Where necessary for game delivery and fair play certification, limited technical and session data may be shared with game providers. Game providers are contractually prohibited from using player data for any purpose other than delivering the game service.
jillik may disclose your personal data to PAGCOR, the Anti-Money Laundering Council (AMLC), the National Privacy Commission (NPC), the Bureau of Internal Revenue (BIR), or other Philippine government agencies and law enforcement bodies where jillik is legally required or compelled to do so — including in response to lawful regulatory requests, court orders, or subpoenas.
AMLA Disclosure: In compliance with the Anti-Money Laundering Act (RA 9160, as amended by RA 10167 and RA 10365), jillik is required to report covered transactions and suspicious transactions to the AMLC. Such reports are made without prior notification to the account holder.
In the event of a merger, acquisition, restructuring, or sale of assets involving jillik, your personal data may be transferred to the acquiring entity, provided that the acquiring entity agrees to process your data in accordance with this Policy and applicable Philippine privacy law. You will be notified of any such transfer that materially affects your privacy rights.
Some of jillik's service providers and infrastructure partners may process data in jurisdictions outside the Philippines. Where such cross-border transfers occur, jillik ensures that:
jillik maintains records of all cross-border data transfers and makes these available to the NPC upon request. You may request information about the safeguards applicable to any international transfer of your personal data by contacting the jillik Data Protection Officer.
jillik retains your personal data only for as long as necessary to fulfil the purposes for which it was collected, or for the minimum period required by applicable Philippine law, whichever is longer.
| Data Category | Retention Period | Basis |
|---|---|---|
| Account registration and identity data | 5 years after account closure | AMLA; regulatory requirements |
| KYC verification documents | 5 years after account closure | AMLA; PAGCOR guidelines |
| Financial and transaction records | 5 years after transaction date | AMLA; BIR requirements |
| Game and betting history | 3 years after account closure | Regulatory; dispute resolution |
| Customer support communications | 2 years after case closure | Legitimate interests; dispute resolution |
| Technical and device logs | 12 months from collection | Security; fraud prevention |
| Marketing consent records | Until consent is withdrawn + 1 year | Legal obligation; consent management |
Following the expiry of the applicable retention period, jillik will securely delete or irreversibly anonymise your personal data. Anonymised and aggregated data from which individuals cannot be identified may be retained for longer periods for platform analytics and improvement purposes.
jillik implements comprehensive technical and organizational security measures to protect your personal data against unauthorized access, disclosure, alteration, loss, and destruction. These measures include:
Your Security Responsibilities: While jillik implements strong security measures on its side, you also play a role in keeping your account secure. Use a strong, unique password for your jillik login. Enable two-factor authentication. Never share your credentials with anyone. jillik staff will never ask for your password via any channel.
jillik uses cookies and similar tracking technologies on the jillik.vip platform. Cookies are small data files placed on your device when you visit the jillik website. They serve the following functions:
These cookies are strictly necessary for the jillik platform to function. They enable session management, authentication, and security features. You cannot opt out of essential cookies without impairing your ability to use jillik, as they are required for core functionality such as keeping you logged in during a game session.
Functional cookies allow jillik to remember your preferences — such as your preferred language setting, last-played game, or responsible gaming settings — to provide a more personalised experience. These can be disabled, though doing so may affect certain jillik features.
jillik uses analytics cookies to understand how players use the platform — which game categories are most popular, how players navigate between sections, and where technical issues may occur. Analytics data is aggregated and anonymised wherever possible. You may opt out of analytics cookies without affecting your ability to play at jillik.
These cookies are used to detect and prevent fraudulent account activity, including multi-accounting and unauthorized access attempts. They form part of jillik's device fingerprinting and risk assessment systems and are essential for protecting all players on the platform.
As a data subject under the Philippine Data Privacy Act of 2012 (RA 10173), you hold the following rights in respect of your personal data held by jillik. To exercise any of these rights, contact the jillik Data Protection Officer using the details in Section 15:
The right to know that your data is being collected, the purposes for which it is used, and how it is processed. This Policy fulfils jillik's obligation to inform you.
The right to request a copy of the personal data jillik holds about you and to verify that it is being processed lawfully. jillik will respond to access requests within 15 days.
The right to request correction of inaccurate or incomplete personal data held by jillik. Some corrections may require supporting documentation for verification.
The right to request deletion of your personal data where it is no longer necessary, where consent has been withdrawn, or where processing is unlawful — subject to legal retention obligations.
The right to object to processing based on legitimate interests, including direct marketing. Where you object to marketing, jillik will cease those communications immediately.
The right to be indemnified for damages sustained due to inaccurate, incomplete, outdated, false, unlawfully obtained, or unauthorised use of your personal data under RA 10173.
NPC Complaints: If you believe jillik has not handled your personal data in accordance with RA 10173, you have the right to lodge a complaint with the National Privacy Commission (NPC) of the Philippines. jillik encourages players to contact the jillik DPO in the first instance, as most concerns can be resolved directly and efficiently.
The jillik platform is strictly restricted to individuals who are 21 years of age or older in accordance with applicable Philippine gaming regulations. jillik does not knowingly collect personal data from persons under 21 years of age.
jillik implements age verification procedures during registration and KYC processes specifically to enforce the minimum age requirement. Any account found to belong to a person under 21 years of age will be immediately suspended, all associated data will be deleted (subject to any mandatory retention requirements for regulatory reporting), and any balance will be refunded to the originating payment source where feasible.
If you are a parent or guardian and believe that a person under 21 years of age has registered an account on jillik or provided their personal data to jillik, please contact the jillik DPO immediately using the contact details in Section 15. jillik will take prompt action to delete the relevant data and close the account.
jillik may update this Privacy Policy from time to time to reflect changes in applicable law, regulatory guidance from the NPC, changes in how jillik operates, or changes in the services we offer. When material changes are made, jillik will:
Where changes to this Policy require your renewed consent — for example, where jillik proposes to use your data for a new purpose not covered by the original consent — jillik will seek that consent separately before proceeding. Continued use of the jillik platform following the effective date of a revised Policy constitutes acknowledgement of the changes, subject always to your rights under RA 10173.
For any questions, concerns, or requests relating to this Privacy Policy or the processing of your personal data by jillik — including requests to exercise your rights under Section 12 — please contact the jillik Data Protection Officer through the following channels:
jillik will respond to all data subject access requests, correction requests, and erasure requests within 15 days from receipt of a complete request, in accordance with NPC requirements. Where requests are complex or numerous, jillik may extend this period by a further 15 days, in which case you will be notified of the extension and the reasons for it.
Effective Date: This Privacy Policy is effective as of 1 January 2026. This version (Version 2.0) supersedes all previous versions of the jillik Privacy Policy. Your continued use of jillik.vip after this date constitutes your acknowledgement of this Policy.
Here's what our Privacy Policy means for you as a jillik player — in plain language, without the legalese.
jillik processes your personal data in full compliance with Republic Act No. 10173, the Philippine Data Privacy Act of 2012. Your rights as a Filipino data subject are actively protected — not just acknowledged on paper.
Every transmission of personal data between your device and jillik is protected by 256-bit SSL/TLS encryption — the same standard used by BPI, BDO, and other major Philippine financial institutions.
jillik does not sell, rent, or trade your personal data to any third party for their own commercial gain — ever. Your data is shared only with service providers who process it on jillik's behalf under binding contractual protections.
Access your data, correct it, request deletion, or object to processing — jillik's DPO handles all data subject rights requests within 15 days. Contact via live chat or email anytime, no runaround.
jillik keeps your data only for as long as legally required — typically 5 years for financial records under AMLA — and then deletes it securely. No indefinite data hoarding. Retention periods are disclosed openly in the Policy.
jillik has a designated DPO responsible for privacy compliance, NPC engagement, and responding to player data requests. You have a real point of contact for privacy concerns — not just a generic support queue.
Your data is protected. Your privacy is respected. Your rights under Philippine law are fully supported. Now enjoy 500+ games, instant GCash payouts, and the best online casino experience in the Philippines — knowing jillik has your back every step of the way. Must be 21 or older.
21+ · RA 10173 Compliant · PAGCOR Guidelines Apply · Play Responsibly