Website privacy
Website Privacy
This notice describes how the current public Novikov Health website operates, the limited information created by ordinary website requests, and the controls required before optional analytics could be activated.
Website privacy and personal-data notice
Operator and scope
Who operates this website and what this notice covers.
Novikov Health is the professional website and brand of Vladimir Novikov. Vladimir Novikov is the website operator and, to the extent applicable law treats him as such, the controller/operator for the public website.
This notice concerns novikovhealth.com and ordinary visitor use of its public pages. It does not describe the separate professional workflow for private medical coordination, Personal Electronic Medical Records or sensitive document exchange.
Normal website requests
Ordinary website requests are delivered without a Novikov Health access log.
Novikov Health does not maintain a site-specific access log for ordinary website requests. The hosting and network infrastructure necessarily processes technical request information transiently in order to route, secure and deliver the website. Site-specific server error logging is restricted to critical operational events. Such technical information is not used by Novikov Health for behavioural analytics or advertising.
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Static first-party delivery
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Transient network routing and protection
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No new site-specific ordinary access entries
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Critical site-error events only
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No behavioural analytics or advertising
Purpose and lawful basis
The basis depends on the processing and the law that applies.
Where the GDPR or UK GDPR applies, strictly necessary technical delivery and security may rely on legitimate interests where appropriate, subject to balancing and applicable law. Optional analytics would rely on consent and is currently disabled. Processing after an enquiry reaches an external service is separate from the public-site runtime; its basis depends on the context, including steps requested before an engagement and/or legitimate interests. Health data is handled only through a separately agreed professional workflow with an applicable legal basis and special-category condition; this notice does not claim one universal Article 9 condition.
External destinations
Contact and profile services receive data only after a deliberate visit.
Telegram, WhatsApp Business and LinkedIn are normal outbound links. Loading a Novikov Health page does not contact those providers. If a visitor follows a link, the destination receives information under its own technical operation and privacy terms. Do not send detailed medical records through an initial public contact channel.
Analytics status
Google Analytics 4 and Yandex Metrica are currently disabled.
No GA4 or Yandex Metrica tag, counter ID, analytics cookie, analytics browser-storage value or analytics network request is active. Advertising tags and measurement are also disabled. Analytics may be considered later only after explicit consent controls, approved IDs, account configuration and final legal review.
- No Google Analytics tag or Measurement ID
- No Yandex Metrica tag or counter ID
- No advertising, remarketing or profiling tags
- No automatic analytics events or outbound-link tracking
Cookie and consent technology
No optional consent preference is stored while analytics remains disabled.
The current site does not need to ask for optional analytics consent because no optional analytics technology is active. If analytics is approved later, a first-party preference will remember only whether analytics was allowed or rejected; analytics tags will remain blocked before consent, and a footer setting will allow the choice to be changed.
Read the Cookie PolicyMedical-data boundary
The public website is not a medical record, patient portal or working archive.
Real family or client medical records, diagnoses, symptoms, medical documents and Personal Electronic Medical Records are not stored on novikovhealth.com. The site has no medical upload, form, account or patient database. Professional medical information is handled through a separate agreed workflow and must never be sent to website analytics.
Children and minors
The public website does not solicit personal or medical data directly from children.
Children and minors should not submit information independently through public contact channels. Where a minor is involved in a professional coordination context, the separate workflow must involve an appropriate parent or legal representative and applicable child-health professionals.
AI-assisted communication
Professional translation support is separate from public-site operation.
The current website does not perform AI translation and does not automatically send visitor data to AI services. Any AI-assisted interpretation or translation used in professional communication is part of a separate agreed process, with its own confidentiality and suitability review.
Future processors and transfers
Analytics recipients and cross-border flows require review before activation.
If analytics is later enabled, Google and/or Yandex may act as recipients or processors under their applicable service terms and account configuration. Hosting providers may also process ordinary request information. Controller/operator identity, vendor roles, contracts, processing locations, safeguards and cross-border transfer requirements must be confirmed for the jurisdictions actually in scope before activation.
Retention principle
Information should not be retained longer than its operational or legal purpose requires.
Site-specific ordinary access logging is disabled. A historical access-log file from before hardening remains subject to a separate lawful retention, legal-hold and deletion review. Critical server-error entries, if generated, remain subject to the infrastructure log-rotation policy and must not be retained longer than an operational, security or legal purpose requires. No analytics retention period exists because analytics is not active.
Rights and choices
Privacy rights depend on the applicable law and the processing involved.
Where applicable, a person may have rights to information, access, correction, deletion, restriction, objection, data portability, withdrawal of consent and complaint to a competent authority. These rights are not presented as universally identical. A request may require identity verification and may be subject to lawful limits.
Privacy contact
Use the current Contact page for a privacy question.
For privacy or data-protection enquiries, use the Contact page and identify the message as a privacy request. Please do not include medical details in the initial message.
Contact Novikov HealthChanges to this notice
The notice will be reviewed when the website data flow changes.
The notice, Cookie Policy and internal data map must be updated before analytics, advertising, forms, uploads, accounts, a portal or another third-party runtime service is activated. The current version does not claim blanket compliance with any jurisdiction.