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Source-Backed Evidence ProfileMarketing & Audience DataFirst-party request-route candidate; manual review requiredCatalog provenance verifiedBounded evidence gate passed

How to Opt Out of Cint AB

Recorded route and removal checklist for Cint AB (cint.com). Review the captured evidence, locate your profile when the provider offers a search, disclose only what is necessary, and keep your own request record.

Rahul Kandoriya
Written byRahul Kandoriya·Founder, OfflistMe·Last updated September 6, 2026
Coverage scope: The OfflistMe catalog currently records 1,000+data-broker workflows. Paid access lets you select workflows at once; you review and send or submit the generated requests, while provider eligibility and outcomes remain outside OfflistMe's control.

Record verification state

Read the gate definitions →

This record clears the bounded catalog/evidence gate used to publish its source-limited route. It is not proof that every field is complete, that a request was accepted or delivered, or that data was deleted.

Catalog provenance
Verified
Bounded evidence gate
Passed
Field review
Open
Snapshot field states
Assessed
Known fields
94/258
Primary source URLs
5

Snapshot detail: 164 fields are not recorded in this evidence bundle and 0 preserve explicit uncertainty. Not recorded does not mean absent; it means the current snapshot does not establish the fact. Read the assessment method →

Open field review: Aliases, Optional Or Contextual Fields, Suppression Group. These fields remain bounded as unknown or not recorded; they are not filled by inference.

Looking for detailed screenshots and step-by-step walkthrough? Check out our Dedicated Cint AB Guide.

View Guide

Quick Summary & Recorded Route

To request data removal from Cint AB, first verify the current request route because the latest read-only page observation is first-party request-route candidate; manual review required using the recorded privacy contact privacy@cint.com. The catalog records Email as the primary method, recorded workflow note: Generally 30 or 45 days per the current privacy notice, subject to applicable law and possible extension., and a latest recorded review date of 2026-09-06. This page does not infer request acceptance or deletion.

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Cint AB At a Glance

Recorded Domain
cint.com
Opt-Out Method
Email
Catalog Difficulty
3/5 (Moderate)
Recorded Timeline
Generally 30 or 45 days per the current privacy notice, subject to applicable law and possible extension.
Government ID Requirement
May be requested; confirm current instructions
Recorded Geographic Scope
Global
Recorded Legal Operator
Cint AB
Parent Entity
Cint Group AB (publ) (Cint AB is the default contracting entity within the Cint group and names Cint Group AB (publ) as the registered group-company name on its investor-relations governance page; Cint's own August 2026 newsroom item states the company entered private ownership.)
Evidence Grade
First-party request-route candidate; manual review required
Registry Matches
No match recorded in captured sources
Recorded Data Domains
marketing audience data, data aggregation, demographics
Latest Recorded Review
2026-09-06

Step-by-Step Cint AB Request Review

Use this source-limited checklist to review a request for Cint AB. It does not establish that the provider accepted a request or deleted every copy:

  1. 1

    Locate your listing on Cint AB

    If Cint AB provides a public search, look for the matching record using only the details needed for matching. Save the profile URL when one is available; do not disclose extra personal information just to search.

  2. 2

    Use the recorded privacy contact

    The catalog records privacy@cint.com as a provider contact. Confirm the current request scope and instructions before sending; you can use OfflistMe's local email draft above.

  3. 3

    Verify and submit only required matching fields

    The recorded workflow lists Not Fully Established From A Current Source. The Notice States Identity Verification Is Required Before Processing.. Provide only what the current provider instructions require and review the recipient before sending. not_stated_in_reviewed_sources

  4. 4

    Complete and save any provider confirmation

    The recorded workflow lists Email Sent Record, Broker Response If Provided, Source Recheck. Complete those steps only if the current provider page presents them, and retain the confirmation for your own records.

  5. 5

    Review the recorded timing note

    The recorded workflow notes Generally 30 or 45 days per the current privacy notice, subject to applicable law and possible extension.. Treat it as source-specific context, not a guarantee of delivery or deletion; follow up through the same route if you need to check the request.

Required Information & Submission Channels

Required Fields

  • Not Fully Established From A Current Source. The Notice States Identity Verification Is Required Before Processing.

Submission Channels

  • Email
  • Postal Mail

Completion Evidence to Save

  • Email Sent Record
  • Broker Response If Provided
  • Source Recheck

Recorded Data Domains for Cint AB

The current evidence bundle names the following consumer data domains for Cint AB. These labels describe the recorded source context; they do not prove that a specific person's record contains every domain.

marketing audience data
data aggregation
demographics
household data
purchase intent
transaction data
contact data
audience segments
data append and enrichment

*Data domain classifications represent documented aggregate intelligence. Presence in a category does not guarantee a specific individual profile exists without manual verification on cint.com.

Privacy rights depend on your location, the provider's role, the request type, and statutory exceptions. Use the jurisdiction-specific guides below as starting points and verify the current regulator or legal source before relying on a deadline or exemption.

California (CCPA/CPRA)

California privacy and data-broker rules include deletion and opt-out mechanisms with scope, identity, and exception rules that should be checked against current CPPA material.

CCPA Opt-Out Guide →Current CPPA data-broker guidance ↗

European Union / UK (GDPR)

Erasure rights, response duties, and controller/processor responsibilities depend on the applicable GDPR or UK framework and its exceptions.

GDPR Erasure Guide →EU Commission rights guidance ↗UK ICO erasure guidance ↗

Texas Data Broker Law

Texas privacy and data-broker obligations depend on the covered entity, effective date, and request scope; check the current statute and regulator materials.

Texas Privacy Guide →Texas AG data-broker guidance ↗

Oregon Consumer Privacy Act

Oregon privacy and data-broker rules have defined rights and obligations whose scope should be checked against the current statute and regulator materials.

Oregon Privacy Guide →Oregon DFR registry guidance ↗

Identity Verification & Security Precautions

Recorded identity-matching note: Identity verification is required before processing, per the current privacy notice; the exact current field list was not confirmed in this pass.

Recorded government-ID note: not_stated_in_reviewed_sources

Practical security precaution: Share only what the current provider instructions require. Do not send an unredacted identity document or sensitive identifier by default; if the provider accepts redaction, remove unnecessary numbers and other sensitive fields before sharing.

Recorded Sources & Citations

The ledger below shows the sources recorded for this profile. A source link or URL observation supports only the field and date it documents; it does not prove request acceptance, deletion, or future non-republication:

Source ledger for Cint AB
Evidence CategorySource URLAudit Date
Recorded workflow sourcehttps://www.cint.com/privacy-policy/ ↗2026-09-05
Recorded workflow sourcehttps://www.cint.com/about/ ↗2026-09-05
Captured evidence sourcehttps://www.cint.com/privacy-policy/ ↗2026-09-05
Captured evidence sourcehttps://www.cint.com/about/ ↗2026-09-05
Captured evidence sourcehttps://legal.cint.com/docs/managed-services-and-data-collaboration-project-terms-v2026-01 ↗2026-09-05
Captured evidence sourcehttps://investors.cint.com/en/governance/articles-association ↗2026-09-05
Captured evidence sourcehttps://www.cint.com/newsroom/cint-enters-new-phase-of-growth-and-innovation-under-private-ownership/ ↗2026-09-05
Observation: First-party request-route candidate; manual review requiredhttps://www.cint.com/privacy-policy/ ↗2026-09-06

OfflistMe keeps an internal audit trail of captured observations. A documented URL or registry entry reflects availability in the recorded source snapshot; it does not guarantee that a provider will refrain from future data collection without continuous monitoring.

Other catalog records categorized under Marketing & Audience Data:

01Advertising Inc

01advertising.com

BothOfficial 2024 registry metric: median substantive deletion response was 0 day(s); this is an aggregate metric, not an individual SLA.
180 by Two, LLC

180bytwo.com

EmailNo current first-party SLA was confirmed.
33 Mile Radius LLC

33mileradius.com

EmailOfficial 2024 registry metric: median substantive deletion response was 12 day(s); this is an aggregate metric, not an individual SLA.
360 Media Direct

360mediadirect.com

BothTiming varies by broker and applicable law; allow up to 45 days where a state privacy law supplies that response window.
365DataSolutions, LLC

365datasolutions.com

BothTiming varies by broker and applicable law; allow up to 45 days where a state privacy law supplies that response window.
4EYES AI Inc

4-eyes.ai

BothDelivr.ai states that it processes requests within 30 days; legal and retention exceptions may apply, and this is not a completion guarantee.

Frequently Asked Questions

How do I opt out of Cint AB?+

The catalog records privacy@cint.com as a provider contact. Confirm the current request scope and send only the minimum matching information needed for the provider to locate your record.

Does Cint AB require a government ID for removal?+

not_stated_in_reviewed_sources

How long does Cint AB take to process opt-out requests?+

The recorded workflow notes Generally 30 or 45 days per the current privacy notice, subject to applicable law and possible extension.. It is not a service-level guarantee, a statutory conclusion, or proof that every copy was deleted.

Why did my data appear on Cint AB?+

The current source set does not attribute your specific listing to a collection source. Do not infer the source from a generic data-broker explanation.

Why does personal data reappear on data brokers after deletion?+

A later source update, a separate provider, or a changed matching rule can create a new or restored listing. This profile does not establish a universal reappearance interval, and OfflistMe does not claim continuous monitoring or automatic re-suppression.

What is the legal operator and parent company of Cint AB?+

Cint AB is operated by Cint AB, a subsidiary of Cint Group AB (publ).