Customer Privacy Policy
Super Sized Incorporated dba Literacy Path
Last Modified: April 2, 2026 Effective Date: April 2, 2026
1. INTRODUCTION
Super Sized Incorporated dba Literacy Path (“Literacy Path,” “we,” “us,” or “our”) is committed to protecting the privacy of students, educators, parents, and all users of our platform. This Privacy Policy describes how we collect, use, disclose, and protect personal information and Student Data in connection with the Literacy Path platform (the “Products”).
This policy applies to all users of the Products, including school districts, schools, educators, administrators, students, and parents or guardians.
Super Sized Incorporated dba Literacy Path 1719 Angel Parkway Ste 400-251 Allen, TX 75002
2. DEFINITIONS
- “Customer” means the school district, school, or educational organization that has entered into an agreement with Literacy Path.
- “Student Data” means information directly relating to an identifiable student that is collected, received, or generated through the use of the Products, which may include education records as defined by FERPA.
- “Personal Information” means information that identifies or can be used to identify an individual, including but not limited to name, email address, and account credentials.
- “Authorized School User” means students, educators, administrators, and staff authorized by the Customer to access the Products.
- “De-Identified Data” means data that has been stripped of all personally identifiable information such that it cannot reasonably be used to identify an individual student.
3. LEGAL FRAMEWORK AND COMPLIANCE
Literacy Path is designed to comply with the following federal and state laws:
- Family Educational Rights and Privacy Act (FERPA) — We access Student Data as a “school official” with a legitimate educational interest under 34 CFR § 99.31.
- Children’s Online Privacy Protection Act (COPPA) — We do not knowingly collect personal information from children under 13 without the consent of a school or district acting as the parent’s agent under COPPA.
- Protection of Pupil Rights Amendment (PPRA) — We do not use Student Data for marketing or non-educational purposes.
- Texas Student Privacy Act — We comply with all applicable provisions of Texas Education Code Chapter 32 regarding student data privacy.
- Other Applicable State Laws — We comply with all applicable state student data privacy laws in jurisdictions where our Customers operate.
4. INFORMATION WE COLLECT
4.1 Student Data (Provided by Customer)
When a Customer sets up classrooms and enrolls students, the following information may be provided to Literacy Path:
- Student first name and last name
- Grade level
- Classroom assignment
- Language preference (English or Spanish)
- NWEA MAP assessment data (if uploaded by the teacher)
4.2 Student Data (Generated Through Use)
As students use the Products, the following data is generated:
- Assignment responses and scores
- Reading level and mastery data (Working Instructional Level and per-standard mastery)
- Time spent on activities
- Intervention history
- Reading motivation data (BRAVE framework scores and responses)
- Login activity and timestamps
4.3 Educator and Administrator Data
When educators and administrators create accounts, we collect:
- Name and email address
- School and district affiliation
- Role (teacher or administrator)
- Account credentials
4.4 Technical Data
We automatically collect certain technical information when users access the Products:
- Browser type and version
- Device type
- IP address
- Pages accessed and features used
- Session duration
5. HOW WE USE INFORMATION
5.1 Student Data
We use Student Data solely for the following educational purposes:
(a) Providing, maintaining, and improving the Products;
(b) Personalizing each student’s learning path based on performance, reading level, and mastery data;
(c) Generating reports and analytics for educators and administrators;
(d) Administering assessments and tracking student progress;
(e) Operating the intervention system to identify students who need additional support;
(f) Measuring student reading motivation through the BRAVE framework; and
(g) Providing customer support to the Customer.
5.2 We Do NOT Use Student Data To:
(a) Advertise or market to students, parents, or educators;
(b) Build profiles of students for non-educational purposes;
(c) Sell, rent, or trade Student Data to any third party;
(d) Train machine learning or artificial intelligence models; or
(e) Any purpose other than providing the Products and supporting the Customer’s educational mission.
5.3 De-Identified and Aggregated Data
We may use De-Identified Data and aggregated data that cannot reasonably identify any individual student for the following purposes:
(a) Improving and developing the Products;
(b) Conducting educational research; and
(c) Reporting on aggregate trends in reading performance and engagement.
6. HOW WE SHARE INFORMATION
6.1 We Do Not Sell Student Data
We do not sell, rent, lease, or trade Student Data or Personal Information to any third party for any purpose.
6.2 Limited Sharing
We may share information only in the following circumstances:
(a) With the Customer — We share Student Data with the Customer’s authorized educators and administrators through reports, dashboards, and other features of the Products.
(b) Service Providers — We may share information with trusted third-party service providers who assist us in operating the Products (e.g., cloud hosting, data storage), provided such service providers are bound by contractual obligations to protect the confidentiality and security of the data and to use it only for the purposes of providing services to Literacy Path.
(c) Legal Requirements — We may disclose information if required by law, regulation, legal process, or governmental request, provided we notify the Customer in advance to the extent permitted by law.
(d) Business Transfers — In the event of a merger, acquisition, or sale of assets, Student Data will remain subject to the protections of this Privacy Policy. We will notify affected Customers prior to any such transfer.
7. DATA SECURITY
We implement and maintain commercially reasonable administrative, technical, and physical safeguards designed to protect Student Data and Personal Information from unauthorized access, disclosure, alteration, and destruction. These measures include but are not limited to:
- Encryption of data in transit and at rest
- Access controls limiting data access to authorized personnel
- Regular security assessments and monitoring
- Secure authentication mechanisms for all users
- Incident response procedures
No method of transmission over the internet or electronic storage is completely secure. While we strive to protect Student Data, we cannot guarantee absolute security.
8. DATA RETENTION AND DELETION
8.1 During the Agreement
We retain Student Data for the duration of the Customer’s agreement with Literacy Path, as necessary to provide the Products and fulfill our obligations under the agreement.
8.2 Upon Termination
Upon termination or expiration of the Customer agreement, we will delete Student Data within ninety (90) days, unless:
(a) The Customer requests an earlier deletion;
(b) The Customer requests a return of the data in a standard, machine-readable format; or
(c) We are required by law to retain the data for a longer period.
8.3 Customer Requests
Customers may request the deletion of Student Data at any time during the term of the agreement by contacting us at hello@literacypath.io.
9. PARENTAL AND STUDENT RIGHTS
9.1 Under FERPA
Parents and eligible students have the right to:
(a) Inspect and review Student Data held by Literacy Path by submitting a request through the Customer (school or district);
(b) Request correction of Student Data believed to be inaccurate; and
(c) File a complaint with the U.S. Department of Education regarding alleged FERPA violations.
9.2 Under COPPA
For students under 13, the Customer (school or district) provides consent on behalf of parents for the collection of student information necessary to provide the educational services. Parents may:
(a) Review the personal information collected about their child by contacting the Customer;
(b) Request the deletion of their child’s personal information by contacting the Customer; and
(c) Refuse further collection of their child’s information, understanding this may limit access to the Products.
9.3 Exercising Rights
All requests to access, correct, or delete Student Data should be directed to the Customer (school or district). The Customer may then contact Literacy Path to facilitate such requests.
10. THIRD-PARTY SERVICES
The Products may contain links to or integrations with third-party services. This Privacy Policy does not apply to third-party services, and we are not responsible for the privacy practices of third parties. We encourage users to review the privacy policies of any third-party services they access.
11. CHANGES TO THIS POLICY
We may update this Privacy Policy from time to time. If we make material changes, we will notify Customers by email or through the Products at least thirty (30) days prior to the changes taking effect. Continued use of the Products after the effective date of any changes constitutes acceptance of the updated Privacy Policy.
The most current version of this Privacy Policy is always available at literacypath.io/privacy.
12. CONTACT US
If you have any questions about this Privacy Policy or our data practices, please contact us.
© 2026 Super Sized Incorporated dba Literacy Path. All rights reserved.