Privacy Policy
A plain-language view of the information CNU collects, why we use it, and the choices available to families.
Last updated July 28, 2026Scope of this policy
This Privacy Policy explains how Phil Wright Inc., doing business as Chicken Nugget University and CNU (“CNU,” “we,” “us,” or “our”), collects, uses, discloses, and protects personal information when you use our website, enrollment experience, member platform, live sessions, and related services.
This policy does not govern third-party websites or platforms that have their own privacy policies.
Information we collect
We collect information you or a parent or guardian provides, information created through participation in the program, and limited technical information generated when the Services are used.
- Account and contact information, such as a parent or guardian’s name, email address, phone number, and login details.
- Enrollment information, such as a student’s name, age range, dance experience, interests, and program selections.
- Payment and transaction details. Payment-card information is generally processed by our payment provider rather than stored by CNU.
- Communications, support requests, survey responses, assignments, feedback, and other content submitted through the Services.
- Live-session participation and recordings when a session is recorded and participants have been notified.
- Device, browser, IP address, pages viewed, referring pages, and similar usage information collected through standard server logs and permitted analytics technologies.
California notice and 12-month disclosure
This section supplements the rest of this policy for California residents. During the preceding 12 months, CNU collected the categories of personal information listed below. We collect only information reasonably necessary and proportionate to operate the program, support families, secure the Services, and meet legal obligations.
The examples below describe the information we may collect; they do not mean we collect every example about every person.
- Identifiers and California Customer Records information, such as names, email and mailing addresses, telephone numbers, account identifiers, and parent or guardian contact details.
- Characteristics of protected classifications under California or federal law, limited to information such as a student’s age or age range when provided for enrollment and age-appropriate programming.
- Commercial information, such as enrollment choices, membership status, purchase records, and transaction history.
- Internet or other electronic network activity, such as IP address, device and browser information, pages viewed, referring pages, and interactions with the Services.
- Audio, electronic, visual, or similar information, such as session recordings, photos, video, voice, assignments, testimonials, and content submitted to the program.
- Education-related information, such as dance experience, learning interests, assignments, participation, program progress, and educator feedback.
- Sensitive personal information processed only as reasonably necessary to provide requested services, such as account log-in credentials handled by the member platform and payment information handled by payment processors. CNU does not use or disclose sensitive personal information to infer characteristics about a person.
California sources, purposes, and disclosures
We obtain personal information directly from parents, guardians, and participants; automatically from browsers, devices, and use of the Services; from payment, member-platform, video, hosting, security, and communications providers; and from CNU educators or staff through program participation and support.
We use these categories to enroll and authenticate members, process transactions, provide live sessions and resources, communicate with families, personalize education and feedback, maintain records, improve the Services, prevent fraud and misuse, protect participants, and comply with law.
During the preceding 12 months, we disclosed identifiers, California Customer Records information, commercial information, internet activity, audio or visual information, education-related information, and limited sensitive personal information for business purposes. Recipient categories included payment and authentication providers, hosting and security providers, video and communications platforms, member-platform and customer-support providers, educators and authorized staff, professional advisers, and government or legal authorities when required.
Retention depends on the category and purpose. Account and enrollment records are generally kept for the relationship and a reasonable period afterward; transaction records are kept as required for accounting, tax, fraud-prevention, and legal purposes; technical logs are kept only as reasonably needed for security and operations; and recordings or submitted program content are kept for the replay, educational, safety, or permission period communicated to participants. We delete or de-identify information when it is no longer reasonably necessary, subject to legal obligations.
Sale, sharing, sensitive information, and minors
CNU has not sold personal information or shared personal information for cross-context behavioral advertising during the preceding 12 months, as “sell” and “share” are defined by the California Consumer Privacy Act. We do not have actual knowledge that we sell or share the personal information of consumers under 16 years of age.
CNU does not use or disclose sensitive personal information for purposes that trigger a right to limit under California law. We also do not use automated decisionmaking technology to make significant decisions about enrollment, access, employment, or other comparable opportunities.
Because we do not sell or share personal information, a “Do Not Sell or Share My Personal Information” link is not currently required for our practices. If those practices change, we will update this policy, provide any required notices and controls, and obtain any consent required for minors.
Children’s privacy
CNU is designed for young dancers and their families. A parent or legal guardian must enroll and supervise a child. We ask parents and guardians—not children acting alone—to provide enrollment and account information.
We do not knowingly collect personal information directly from a child under 13 without the consent of a parent or legal guardian. Parents and guardians may contact us to review, correct, or request deletion of a child’s personal information. If we learn that information was collected from a child without appropriate permission, we will take reasonable steps to delete it.
We use children’s information only to provide and support the program, protect participants, communicate with the family, and meet legal obligations. We do not sell children’s personal information or use it for targeted advertising.
How we use information
We use personal information for legitimate business and educational purposes, including to operate and improve the Services, process enrollment and payments, schedule and deliver sessions, personalize program support, provide feedback, communicate with families, maintain safety and security, prevent misuse, and comply with law.
With appropriate permission, we may also send program news or promotional communications. You can unsubscribe from marketing emails using the link in the message; we may still send essential account or transaction communications.
Photos, video, and session recordings
Some live sessions may be recorded for replays, quality, training, or safety. When a session is recorded, we will provide notice through the session or program materials. Families should use available camera and display-name controls when appropriate.
CNU will seek appropriate consent before using an identifiable student’s photo, video, voice, testimonial, or work for public promotional purposes when consent is required. Consent for public marketing may be withdrawn for future uses by contacting us, though withdrawal may not affect material already produced or lawfully published.
Cookies and analytics
We and our service providers may use cookies, pixels, local storage, and similar technologies to keep the site working, remember preferences, understand site performance, prevent fraud, and improve the experience.
Browser settings may allow you to block or delete cookies. Some features may not function correctly if essential cookies are disabled. Where required, we will provide additional choices or obtain consent.
Data retention
We keep personal information only as long as reasonably necessary for the purposes described in this policy, including providing the Services, maintaining business and transaction records, resolving disputes, enforcing agreements, and meeting legal obligations.
Retention periods vary based on the type of information, the nature of the relationship, legal requirements, and safety considerations. When information is no longer needed, we take reasonable steps to delete or de-identify it.
Data security
We use reasonable administrative, technical, and organizational safeguards designed to protect personal information. No internet transmission or storage system can be guaranteed completely secure, so we cannot promise absolute security.
You can help by using a unique password, protecting account credentials, keeping devices updated, and notifying us about suspected unauthorized access.
California privacy rights
To the extent provided by applicable California law, California residents may request to know the categories, sources, purposes, recipients, and specific pieces of personal information CNU has collected; request deletion; request correction of inaccurate information; obtain information about disclosures; opt out of any sale or sharing; limit certain uses of sensitive personal information; and receive equal service and pricing without retaliation or discrimination for exercising privacy rights.
To submit a request, email nuggetuniversity@gmail.com with the subject “California Privacy Request” or write to Phil Wright Inc. d/b/a Chicken Nugget University, 18723 Via Princessa #87, Santa Clarita, CA 91321, United States. Describe the right you wish to exercise and provide enough information for us to locate the relevant records.
We may verify a request by matching information supplied with information already maintained by CNU and, when reasonably necessary, requesting additional information. Verification information will be used only for verification. We will respond within the time required by applicable law, generally within 45 days, and will explain if an exception applies or more time is reasonably necessary.
An authorized agent may submit a request on a California resident’s behalf. We may require proof of signed permission, verify the resident’s identity directly, and ask the resident to confirm the agent’s authority, unless the agent presents a valid power of attorney. Parents and legal guardians may exercise applicable rights for their children.
California’s “Shine the Light” law may allow residents to request information about disclosure of personal information to third parties for their own direct-marketing purposes. CNU does not disclose personal information to third parties for their own direct marketing. Questions or requests may be sent using the contact methods above.
Browser privacy signals and third-party collection
The CNU public website does not currently use third-party behavioral-advertising trackers. Hosting and security providers may process limited technical information in server logs, and providers may collect information under their own policies when you follow links to checkout, the member platform, video services, or social media.
Because CNU does not currently sell or share personal information for cross-context behavioral advertising, a legacy browser “Do Not Track” signal or a Global Privacy Control signal does not change how we handle personal information on this site. If CNU begins processing information in a way that is subject to an opt-out preference signal, we will recognize qualifying signals as required by California law and update this disclosure.
Other privacy choices
Depending on where you live, you may have additional rights to request access to, correction of, deletion of, or a copy of personal information, and to object to or restrict certain processing.
To make a request, email us using the address below and describe the request. We may need to verify your identity or authority before responding. We will not discriminate against you for exercising applicable privacy rights.
International use
CNU is based in the United States, and information may be processed and stored in the United States and other countries where our providers operate. Those locations may have data-protection laws different from the laws where you live.
Changes and contact
We may update this policy as our Services, practices, or legal obligations change. We will post the revised policy here and update the date above. If changes are material, we may also provide notice through the Services or by email.
Phil Wright Inc. d/b/a Chicken Nugget University may be contacted at 18723 Via Princessa #87, Santa Clarita, CA 91321, United States, or by email using the address below.
We’re here to help.
Contact Chicken Nugget University at nuggetuniversity@gmail.com.
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