{{baseData.historyTitle}}

{{baseData.historyTitle}}

OPPO-EU Digital Services Act
The follwoing information is provided in accordance with the EU Digital Services Act (Regulation (EU) 2022/2065 of the European Parliament and of the Council of 19 October 2022 on a Single Market for Digital Services and amending Directive 2000/31/EC) (the “DSA”).
Single Point of Contact (Articles 11 and 12 DSA)
support.de@oppo.com is OPPO’s single point of contact for communications with Member States' authorities, the European Commission, the European Board for Digital Services, and recipients of the service. Communications can be sent in English or German to the above email.
Legal Representative (Articles 13 DSA)
The legal representative of OPPO in the EU is:
Name: OROPE Germany GmbH
Address: Graf-Adolf-Platz 15, 40213 Düsseldorf, Germany
Email: support.de@oppo.com
Phone:0800-0007900
Notice and Action Mechanisms (Article 16 DSA)
Any individual or entity can submit notices concerning illegal content on OPPO's services, including OPPO Community and Theme Store, to our following email addresses in in your country:
OPPO EU user communication email address
Service channel
Email
Poland
support.pl@OPPO.com
Romania
support.ro@OPPO.com
France
support.fr@OPPO.com
Italy
support.it@OPPO.com
Belgium
support.be@OPPO.com
Luxembourg
support.lu@OPPO.com
Netherlands
support.nl@OPPO.com
Portugal
support.pt@OPPO.com
Spain
support.es@OPPO.com
Germany
support.de@OPPO.com
Ireland
support.ie@OPPO.com
Austria
support.at@OPPO.com
Czech
support.cz@OPPO.com
Slovakia
support.sk@OPPO.com
Hungary
support.hu@OPPO.com
Greece
support.gr@OPPO.com
Croatia
support.hr@OPPO.com
Please indicate "DSA Notice" in the subject of your email sent to us. To help us properly review your notice, the following information should be included:
  • a sufficiently substantiated explanation of the reasons why you allege the information in question to be illegal content;
  • a clear indication of the exact electronic location of that information, such as the exact URL or URLs, and, where necessary, additional information enabling the identification of the illegal content adapted to the type of content and to the specific type of our service;
  • your name and email address, except in the case of information considered to involve one of the offences referred to in Articles 3 to 7 of Directive 2011/93/EU ( e.g. children sexual abuse or exploitation, child pornography, contacting children for sexual purposes, or incitement, aiding or attempting to commit such offences);
  • a statement similar to "I confirm my belief that the content of this notice is accurate and complete".
Internal Complaint-handling System (Article 20 DSA)
Recipients of our services may lodge a complaint against our decision via our internal complaint-handling system within 6 months upon the receipt of the contested decision if they do not agree with our following decision:
  • decisions whether or not to remove or disable access to or restrict visibility of the information;
  • decisions whether or not to suspend or terminate the provision of the service, in whole or in part, to the recipients;
  • decisions whether or not to suspend or terminate the recipients’ account;
  • decisions whether or not to suspend, terminate or otherwise restrict the ability to monetise information provided by the recipients.
Complaints may be lodged free of charge via email sent to our following email addresses in in your country:
OPPO EU user communication email address
Service channel
Email
Poland
support.pl@OPPO.com
Romania
support.ro@OPPO.com
France
support.fr@OPPO.com
Italy
support.it@OPPO.com
Belgium
support.be@OPPO.com
Luxembourg
support.lu@OPPO.com
Netherlands
support.nl@OPPO.com
Portugal
support.pt@OPPO.com
Spain
support.es@OPPO.com
Germany
support.de@OPPO.com
Ireland
support.ie@OPPO.com
Austria
support.at@OPPO.com
Czech
support.cz@OPPO.com
Slovakia
support.sk@OPPO.com
Hungary
support.hu@OPPO.com
Greece
support.gr@OPPO.com
Croatia
support.hr@OPPO.com
Please indicate "DSA Complaint" in the subject of your email sent to us. Complaints are processed in a timely, non-discriminatory, diligent and non-arbitrary manner under the supervision of appropriately qualified personnel. As soon as a decision has been made, it will be communicated to the complainant without undue delay.
Out-of-Court Dispute Settlement and Judicial Redress ( Article 20 and 21 DSA)
In order to resolve disputes related to decisions made within the framework of our internal complaint-handling system, there is the possibility of seeking an out-of-court dispute settlement before a so-called “certified out-of-court dispute settlement body”. The European Commission will publish a list of those bodies. No such information is available at this time. We will update this site as soon as we have more information .
You may select any out-of-court dispute settlement body that has been certified by the Digital Services Coordinator in the relevant Member State. OPPO will work with the out-of-court dispute settlement body whereever required by law. OPPO is not, however, bound by the decision handed down by the out-of-court dispute settlement body.
The foregoing information is without prejudice to the rights of recipients of the services to enforce their claims against OPPO in court.
Measures and Protection Against Misuse ( Article 23 DSA)
If a recipient of our services repeatedly provides content that is manifestly illegal, OPPO will suspend the provision of our services to them for up to six (6) months following the issuance of a prior warning. Furthermore, any individual or entity, who intentionally misuses our notices and complaints submitted through the notice and action mechanisms or internal complaint-handling systems by repeatedly filing manifestly unfounded notice or complaints, will be suspended for up to six (6) months after having issued a prior warning.
When deciding on suspension, OPPO will assess, on a case-by-case basis and in a timely, diligent and objective manner, whether the recipient of the service, the individual, the entity or the complainant engages in the misuse above, taking into account all relevant facts and circumstances apparent from the information available to OPPO. Those circumstances include at least the following:
  • the absolute numbers of items of manifestly illegal content or manifestly unfounded notices or complaints, submitted within a given time frame;
  • the relative proportion thereof in relation to the total number of items of information provided or notices submitted within a given time frame;
  • the gravity of the misuses, including the nature of illegal content, and of its consequences;
  • where it is possible to identify it, the intention of the recipient of the service, the individual, the entity or the complainant.
Monthly Active Recipients Information ( Article 24(2) DSA)
OPPO discloses the following information on the numbers of average monthly active recipients of our relevant online platforms in the EEA during the applicable reporting period.
2023.2-2023.7 OPPO-Monthly Active Recipients under the Digital Service Act (EU)
According to Article 24(2) of the Digital Services Act (DSA), OPPO discloses the following information on the numbers of average monthly active recipients of our relevant online platforms in the EEA during the applicable reporting period. The data provided bellows is calculated in accordance with the relevant provisions of the DSA.
OPPO Community (Guangdong OPPO Mobile Telecommunications Corp., Ltd): For the period between 2023.2-2023.7,OPPO Community has had an average of 783,000 monthly active recipients.
In the future, we will continue to monitor and publish updated information on the average monthly active recipients in accordance with the DSA.
2023.8-2024.1 OPPO-Monthly Active Recipients under the Digital Service Act (EU)
According to Article 24(2) of the Digital Services Act (DSA), OPPO discloses the following information on the numbers of average monthly active recipients of our relevant online platforms in the EEA during the applicable reporting period. The data provided bellows is calculated in accordance with the relevant provisions of the DSA.
OPPO Community (Guangdong OPPO Mobile Telecommunications Corp., Ltd): For the period between 2023.8-2024.1,OPPO Community has had an average of 1,450,000 monthly active recipients.
Theme Store (BRAVO UNICORN PTE. LTD.): For the period between 2023.8-2024.1,Theme Store has had an average of 1,196,850 monthly active recipients.
In the future, we will continue to monitor and publish updated information on the average monthly active recipients in accordance with the DSA.
2024.2-2024.7 OPPO-Monthly Active Recipients under the Digital Service Act (EU)
According to Article 24(2) of the Digital Services Act (DSA), OPPO discloses the following information on the numbers of average monthly active recipients of our relevant online platforms in the EEA during the applicable reporting period. The data provided bellows is calculated in accordance with the relevant provisions of the DSA.
OPPO Community (Guangdong OPPO Mobile Telecommunications Corp., Ltd): For the period between 2024.2-2024.7 ,OPPO Community has had an average of 1,060,000 monthly active recipients.
Theme Store (BRAVO UNICORN PTE. LTD.): For the period between 2024.2-2024.7,Theme Store has had an average of 107,574,721 monthly active recipients.
In the future, we will continue to monitor and publish updated information on the average monthly active recipients in accordance with the DSA.