Content Moderation Policy
Effective Date: January 1, 2026 · Last Revised: June 1, 2026 · Version 2.2 · Reading time: computing…
In Plain English (Non-Binding Summary)
Scope. This Policy describes the standards, procedures, technologies, and people Upmos uses to moderate user-generated content on the marketplace. "Content" includes product listings, listing images, product descriptions, produ
This plain-language box is provided for accessibility and readability only. It is not a substitute for the full Policy below, which controls in case of any conflict.
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Table of Contents
Scope
Upmos Inc. (“Upmos,” “we,” “us,” or “our”) is a Delaware corporation (registered office c/o Republic Registered Agent LLC, 262 Chapman Rd Ste 240, Newark, DE 19702, New Castle County), with its principal place of business at 9896 Bissonnet St, Houston, TX 77036, United States. Upmos operates an e-commerce marketplace at upmos.com. This Content Moderation Policy (the “Policy”) describes the standards, procedures, technologies, and people Upmos uses to moderate user-generated content on the marketplace. “Content” includes product listings, listing images, product descriptions, product reviews, Q&A, vendor storefront text, vendor-buyer messages, and any other content uploaded by users.
This Policy operationalizes our obligations under, among other instruments:
- the EU Digital Services Act (Regulation (EU) 2022/2065), in particular Articles 14 (terms and conditions), 16 (notice-and-action mechanisms), 17 (statement of reasons), 20 (internal complaint-handling system), 21 (out-of-court dispute settlement), 22 (trusted flaggers), 23 (measures and protection against misuse), and 24 (transparency reporting);
- the U.S. INFORM Consumers Act (15 U.S.C. § 45f);
- the Digital Millennium Copyright Act (DMCA) safe-harbor regime at 17 U.S.C. § 512;
- Section 230 of the Communications Decency Act (47 U.S.C. § 230);
- Section 5 of the FTC Act (15 U.S.C. § 45); and
- our internal AUP, Trust & Safety Policy, and Review Integrity Policy.
Content Standards
Content on Upmos must not:
- Violate intellectual-property rights of any third party (including counterfeits, see IP Policy);
- Be defamatory, libelous, harassing, threatening, or hateful;
- Be obscene or pornographic, or otherwise inappropriate for a general audience;
- Promote violence or unlawful activity;
- Be deceptive or misleading regarding the seller, product, or material connection;
- Contain personal data of any individual without that person’s consent;
- Constitute child sexual abuse material (CSAM) or otherwise sexually exploit a minor — suspected CSAM is reported to the National Center for Missing & Exploited Children (NCMEC) pursuant to 18 U.S.C. § 2258A;
- Constitute non-consensual intimate imagery (NCII) or a digital forgery thereof — subject to removal under the Take It Down Act (15 U.S.C. § 6851 et seq.);
- Promote products that are prohibited or restricted under the Prohibited Products Policy;
- Constitute spam, repetitive promotional posting, or coordinated inauthentic activity;
- Otherwise violate the AUP or applicable law.
Moderation Methods
We moderate content using:
- Automated pre-publication checks — every new listing and review is scanned by classifiers trained on prohibited content patterns (counterfeits, hate, CSAM hashes, profanity, deceptive claims, age-inappropriate);
- Human moderation — trained moderators handle escalations, ambiguity, and appeals;
- Trusted flagger notifications — submissions from designated trusted flaggers (e.g., the National Center for Missing & Exploited Children, the Internet Watch Foundation, qualified rights-holders’ brand-protection programs) are prioritized;
- User reports — every piece of content has a “Report” link.
Notice and Action Mechanism
Pursuant to DSA Article 16, any individual or entity may submit a notice that content on Upmos is illegal or violates our policies. To submit:
- Click “Report” on the offending content;
- Email abuse@upmos.com;
- For copyright claims, see our DMCA Policy;
- For EU illegal-content claims, see our DSA Statement.
Notices should include the exact URL of the content, a clear explanation of why the content is allegedly illegal or violating, the notifier’s name and contact email (except where the allegation concerns minors), and a good-faith statement.
Statement of Reasons
Pursuant to DSA Article 17, when we remove, restrict, demote, or otherwise act on content following a notice or our own investigation, we provide a Statement of Reasons to the affected user that includes:
- The decision (removal, demotion, suspension, etc.);
- The factual basis;
- The policy or legal basis;
- The territorial scope and duration;
- The available appeal mechanisms.
As required by Article 24(5), individual Statements of Reasons concerning EU recipients are transmitted to the European Commission’s DSA Transparency Database without undue delay.
Appeals
Pursuant to DSA Article 20, affected users may appeal content-moderation decisions via our internal complaint-handling system at /dsa-complaint/. Appeals are reviewed by a human moderator who was not involved in the original decision and are decided within fourteen (14) days. For EU residents, after the internal process is exhausted, certified out-of-court dispute settlement is available under DSA Article 21.
Trusted Flaggers — DSA Article 22
Pursuant to DSA Article 22, we give priority treatment to notices submitted by entities designated as Trusted Flaggers by the Digital Services Coordinator of an EU Member State. Trusted Flagger notices are reviewed within twenty-four (24) hours and decided within seventy-two (72) hours.
Sanctions Against Repeat Abusers
Pursuant to DSA Article 23, Upmos suspends — for a reasonable period and after prior warning — the provision of its services to recipients who frequently provide manifestly illegal content, and the processing of notices and complaints submitted by individuals or entities that frequently submit notices or complaints that are manifestly unfounded.
Government and Law-Enforcement Orders
We act on orders from competent national authorities to remove or restrict content where (a) the order is issued in accordance with applicable law, (b) it identifies the content with sufficient specificity, (c) it explains the legal basis, and (d) it is consistent with Articles 9 and 10 DSA in the EU context. Compliance with each order is reported in our annual Transparency Report at /transparency-report/.
Transparency Reporting
We publish, at least annually, a Transparency Report containing the metrics required by DSA Articles 15 and 24, including but not limited to:
- Total number of moderation actions taken on our own initiative;
- Number of notices received under Article 16, broken down by category;
- Average decision time;
- Number of decisions appealed and their disposition;
- Number of suspensions imposed under Article 23;
- Number of government and trusted-flagger requests received and their disposition;
- Indicators of the use of automated tools and their accuracy.
Section 230 — Good Faith Moderation
Upmos relies on the protections of Section 230 of the Communications Decency Act — specifically 47 U.S.C. § 230(c)(1) for immunity from liability for content provided by another information content provider, § 230(c)(2)(A) for good-faith actions taken in voluntary restriction of access to material we consider objectionable, and § 230(c)(2)(B) for providing the technical means to enable users to restrict access to such material. Nothing in this Policy or in any moderation action we take constitutes a waiver of any Section 230 protection, nor does it confer any third-party right not otherwise required by law.
Trust & Safety Contact
Upmos Inc.9896 Bissonnet St
Houston, TX 77036
United States
Email: abuse@upmos.com · trust-safety@upmos.com
How Can You Contact Us About This Policy?
If you have any further questions or comments or wish to report any problematic Content or Contribution, you may contact us by:
General Contact
- Phone: 1-855-637-2433 (Mon–Fri, 9 AM–5 PM CT)
- General Support: support@upmos.com
- Report Issue: upmos.com/report
- Send Feedback: upmos.com/feedback
Department Directory
| Department | Purpose | |
|---|---|---|
| General Support | support@upmos.com | Account help, general inquiries |
| Legal | legal@upmos.com | Legal questions, appeals, terms inquiries |
| DMCA / Copyright | dmca@upmos.com | Copyright infringement notices & counter-notices |
| Privacy | privacy@upmos.com | Data requests, CCPA/GDPR inquiries |
| Fraud | fraud@upmos.com | Report fraudulent activity (24/7) |
| Security | security@upmos.com | Vulnerability reports, bug bounty |
| Disputes | disputes@upmos.com | Transaction & seller disputes |
| Refunds | refunds@upmos.com | Refund requests & status |
| Accessibility | accessibility@upmos.com | Accessibility issues & feedback |
Mailing Address
Upmos Inc.
9896 Bissonnet St
Houston, TX 77036
United States
Version History
Material revisions to this Policy are tracked below. Minor typographical fixes are not separately enumerated.
| Version | Date | Changes |
|---|---|---|
| v2.2 | June 1, 2026 | Polish. Aligned the header chrome with the Terms of Use (middot separators and a computed reading-time indicator). |
