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DSA Trader Traceability & Marketplace Disclosure

Traceability and disclosure requirements for applicable creator-traders.

Effective date: 4 August 2026
Document version: 1.0

Where RedPatron enables EU consumers to conclude distance contracts with creators who are traders and DSA Articles 30–32 apply, those creators cannot offer paid access until the following information is collected and assessed:

  • legal name, address, telephone and email;
  • identity-document or electronic-identification reference;
  • payment-account details;
  • trade-register name and registration number where registered;
  • self-certification to offer only lawful products or services;
  • authorised representative and beneficial-owner information where applicable.

RedPatron checks completeness and reliability using official databases or documents where available. Suspected inaccurate or stale information triggers a correction request and the EU offer remains suspended until resolved. The legally required trader name, address, email and register information are displayed clearly on the creator’s paid-offer interface. Protected identity data is not publicly displayed beyond what the law requires.

Traceability data is kept securely for six months after the relationship ends and then deleted unless another documented legal duty applies. Applicable creators receive complaint and appeal access. The product interface must enable legally required pre-contractual, pricing and compliance information.

The company-size exemption and any later loss of that status must be documented at least annually. The platform applies this gate voluntarily where practicable even while a statutory micro/small-enterprise exemption is valid.