SenderCompass is a trading name of BUSHE LTD. BUSHE LTD is registered in England and Wales under company number 13747534.
Registered office:
BUSHE LTD
18 Midlane Close
Basingstoke
England
RG21 3LD
1. Not active
These services are not active. Do not rely on this page as active sales terms. SenderCompass currently offers no paid digital content, account, subscription or SaaS service.
2. Requirements for any future service
Before launch, complete and review:
- Clear product or service description, compatibility, system requirements and support scope.
- Prices and taxes, payment method, billing period and any currency conversion.
- Consumer or business eligibility and all pre-contract information.
- Cancellation, refund, remedy and complaint process.
- For immediately supplied digital content, any required express consent and acknowledgement about loss of cancellation rights.
- Subscription renewal, cancellation timing, price changes and failed-payment handling.
- Account security, acceptable use, suspension and termination.
- Privacy, cookies, processors, data processing, transfers, retention and deletion.
- Service availability, maintenance, support and data export.
- Human review and limitations for automated or AI-assisted outputs.
3. Digital content
Any download, template, report or other digital content must match its description, be of satisfactory quality and be reasonably fit for a purpose made known and accepted where applicable. Statutory consumer rights cannot be excluded. Licence scope, permitted users, updates and technical requirements must be stated before purchase.
4. Cancellation and refunds
Distance-selling information must be given before an order. Where immediate digital supply could end a cancellation right, checkout must obtain the required express consent and acknowledgement before supply begins. Refund and remedy wording must reflect the actual product, consumer status and governing law.
5. Subscription services
Before a subscription starts, state the billing period, minimum term, renewal process, price, tax, included usage, overage, cancellation route, service changes and what happens to stored data. Cancellation must not be made unnecessarily difficult.
6. Accounts and security
Future users may be responsible for accurate registration information, protecting credentials, using strong authentication and notifying the operator of suspected compromise. The service must define administrative access, recovery, role permissions and account closure.
7. Acceptable use
A future service must prohibit unlawful, abusive, fraudulent or harmful use, including spam, phishing, impersonation, unauthorised scanning, credential misuse, malware, interference, excessive automated requests and infringement. Enforcement, investigation and appeal processes should be proportionate and documented.
8. Data processing
If a tool processes customer email headers, reports, domains, contacts or other personal or confidential data, the operator must define whether it acts as controller or processor, provide appropriate terms, identify subprocessors, set retention and deletion rules, secure transfers and support user rights. Business customers may require a data processing agreement.
9. Automated and AI-assisted outputs
Outputs may be incomplete or wrong and must not be represented as guaranteed legal, security, deliverability or financial conclusions. High-impact recommendations require human review. The service should explain material inputs, uncertainty, data sources and how users can challenge or correct an output.
10. Availability and changes
Active service terms must describe maintenance, material feature changes, deprecation, backups, support, incident communication, data export and termination. Any service-level commitment must be specific and operationally supportable.
11. Business and consumer users
Terms may distinguish business users from consumers, but a label cannot remove mandatory consumer protection. The actual customer journey and intended buyer must be reviewed before launch.
12. Approval before launch
No payment, signup or service-access control should go live until the complete customer journey has been legally and technically reviewed, including the operator details, checkout wording, confirmation email, privacy notice, cookie position, support process and removal procedure.