Dr. Ibukun Odutola
DIL ORGANIZATION – HEALTH TECH INNOVATION CORPORATION
Privacy Policy
Effective Date: September 9, 2026
Last Updated: Septemer 9, 2026
Privacy Policy Link: https://www.dilorganizationhealthtech.org/sentinel-ai/privacy-policy
Company: DIL Organization – Health Tech Innovation Corporation
Entity Type: Delaware C Corporation
Headquarters: Phoenix, Arizona, United States
Website:
https://www.dilorganizationhealthtech.org/
Contact Email:
iodutola@dilorganizationhealthtech.org
Telephone: (602) 502-4872
PRIVACY POLICY
1. Introduction
DIL Organization respects the privacy of users, customers, patients, clinicians, partners, visitors, and organizations interacting with our services.
This Privacy Policy explains how DIL may collect, use, maintain, disclose, and protect personal information.
2. Information We May Collect
Depending upon the service, we may collect:
Identity Information
- Name
- Username
- Date of birth where required
- Professional title
- Organization
- Credentials
Contact Information
- Email address
- Telephone number
- Mailing address
Account Information
- Username
- Login records
- Account preferences
- Subscription information
Payment Information
Payments may be processed by third-party payment providers.
DIL may receive:
- Transaction confirmation
- Billing name
- Billing address
- Payment status
- Limited payment metadata
DIL may not directly store complete card numbers where transactions are handled by an external payment processor.
Technical Information
We may collect:
- IP address
- Device type
- Browser
- Operating system
- Cookie identifiers
- Usage logs
- Pages accessed
- Session information
- Approximate location based on network information
Healthcare or Wellness Information
Certain DIL products may process information such as:
- Behavioral-health screening responses
- Wellness information
- Clinical questionnaire responses
- Risk indicators
- Patient-reported information
- Physiological wellness indicators
- Contactless vital-sign information
- Referral and care-navigation information
The specific information collected depends upon the product and deployment.
3. Contactless Vital-Sign Technology
Where enabled, products may use camera-based remote photoplethysmography or similar technologies to estimate physiological signals.
Users will receive appropriate disclosures or consent information where required.
4. Artificial Intelligence
Information submitted to certain DIL products may be processed by AI systems to:
- Generate summaries
- Assist screening workflows
- Provide educational information
- Support navigation
- Identify patterns
- Assist authorized professionals
DIL seeks to use technical, contractual, organizational, and security safeguards appropriate to the context.
5. How We Use Information
Information may be used to:
- Deliver services
- Authenticate users
- Process transactions
- Provide customer support
- Improve products
- Conduct analytics
- Maintain security
- Detect abuse
- Develop new functionality
- Communicate with customers
- Manage subscriptions
- Comply with law
- Support clinical or enterprise workflows where authorized
6. HIPAA
Certain DIL relationships may involve HIPAA-regulated information.
Where DIL acts as a Business Associate for a Covered Entity, the applicable Business Associate Agreement and HIPAA requirements govern protected health information.
Not every interaction with the DIL website or every DIL service constitutes a HIPAA-regulated transaction.
6.7 Sharing of Information
We may share information with:
- Cloud providers
- Infrastructure providers
- Payment processors
- Communications providers
- Cybersecurity providers
- Analytics providers
- Enterprise customers
- Healthcare organizations
- Authorized healthcare professionals
- Contractors
- Professional advisers
- Government authorities where legally required
We do not authorize service providers to use personal information for unrelated purposes beyond their permitted functions.
8. Sale of Personal Information
DIL does not intend to sell sensitive personal health information to data brokers.
Where state privacy laws define "sale" or "sharing" broadly, DIL will comply with applicable opt-out and disclosure obligations.
9. Cookies
Our websites may use cookies and related technologies for:
- Essential website functionality
- Authentication
- Security
- Preferences
- Analytics
- Performance measurement
Where required, users may receive cookie controls.
10. Data Security
We use safeguards designed to protect information, including where appropriate:
- Access controls
- Encryption
- Authentication
- Logging
- Vendor controls
- Security monitoring
- Secure development practices
- Incident-response procedures
No internet-based system can be guaranteed to be completely secure.
11. Data Retention
We retain personal information only as long as reasonably necessary for:
- Service delivery
- Contractual requirements
- Regulatory obligations
- Security
- Accounting
- Legal purposes
Healthcare records may be subject to different retention requirements.
12. Privacy Rights
Depending upon jurisdiction, individuals may have rights to:
- Access personal data
- Correct inaccurate data
- Delete certain data
- Obtain a copy
- Restrict certain processing
- Opt out of certain sharing
- Withdraw consent where applicable
- Appeal certain privacy decisions
Requests may be sent to our corporate contact email.
13. Children's Privacy
Services directed toward children or students will be managed in accordance with applicable requirements, contractual arrangements, and consent obligations.
We do not knowingly collect information from children through general public-facing services where parental or institutional authorization is legally required.
14. International Users
Personal information may be processed in the United States.
International users should review any additional jurisdiction-specific notices presented through the applicable service.
15. Privacy Questions
Contact:
DIL Organization – Health Tech Innovation Corporation
iodutola@dilorganizationhealthtech.org
(602) 502-4872

