Effective date: September 8, 2026
Last updated: September 8, 2026
This Cookie Policy explains how FIXAR Global Inc. (“FIXAR”, “we”, “us” or “our”), with its operational address at 2800 Eisenhower Avenue, Suite 220, Alexandria, VA 22314, USA, uses cookies and similar technologies on https://www.fixar.pro/ (the “Site”). It should be read with the Privacy Policy.
Cookies are small files stored on a device. Similar technologies include scripts, pixels, local storage, tokens and identifiers that store or access information on a device.
The Site uses Webflow, Cloudflare, Google Tag Manager, Google Analytics 4, Microsoft Clarity and Google reCAPTCHA. Finsweet Consent Pro manages cookie choices. Not every technology sets a cookie in every visit.
Strictly necessary technologies support Site delivery, security, form protection and storage of the visitor’s privacy choice. They are not switched off through the consent interface when they are genuinely necessary for a service requested by the visitor.
In the EEA, United Kingdom and other opt-in jurisdictions, optional analytics is blocked until the visitor gives valid consent. On the first visit, the interface must allow the visitor to accept analytics, reject analytics or manage the category. Rejecting analytics must not prevent access to the main Site or submission of a normal business request.
Optional categories must not be pre-selected, and consent must not be inferred from inactivity, scrolling or continued use of the Site. Accept, Reject and Manage choices must be presented so that refusing optional analytics is not materially harder than accepting it.
A permanent Preferences control must remain available after a choice. It must allow consent to be changed or withdrawn as easily as it was given. Browser controls may also block or delete cookies, but they do not replace the Site control.
Strictly necessary
Technologies required for requested Site functions, consent storage, traffic management and form security.
Analytics
With consent where required, Google Analytics 4 and Microsoft Clarity help measure Site use, identify usability issues, create heatmaps and reconstruct masked interaction events. Form inputs and other privacy-sensitive content must remain masked.
Marketing
No dedicated advertising or marketing tracker was identified in the configuration confirmed for this draft. If such technology is added later, this Policy and the consent configuration must be reviewed before it is activated.
Google Tag Manager is a tag-management container, not itself a cookie category. It may operate before consent only to the extent necessary to manage consent and must not trigger optional analytics before valid consent in opt-in jurisdictions.
Strictly necessary technologies
Google reCAPTCHA may set the necessary _GRECAPTCHA cookie when the anti-spam check is executed. It is provided by Google for risk analysis and form security. Its duration is controlled by Google and the browser.
Cloudflare describes _cfuvid as strictly necessary for the relevant rate-limiting function. It may be processed through Cloudflare infrastructure, including outside the EEA, subject to applicable safeguards.
Analytics technologies – used only after consent
Microsoft Clarity may capture page-rendering information and interactions such as clicks, scrolling, mouse movements, window resizing, errors, and masked DOM events to provide heatmaps and session replay. Privacy-sensitive form inputs must remain masked.
Google Consent Mode is a signaling framework; it does not replace the banner. The Site configuration must default analytics_storage, ad_storage, ad_user_data, ad_personalization, functionality_storage, and personalization_storage to denied in opt-in regions before analytics tags can fire.
For Microsoft Clarity, the Site must pass the current consent state using Microsoft’s recommended Consent V2 integration or block Clarity completely until analytics consent. On rejection or withdrawal, Clarity cookies must not persist.
In the EEA, United Kingdom and other opt-in jurisdictions, Google Analytics 4 and Microsoft Clarity must remain blocked until the visitor gives valid Analytics consent.
Rejecting Analytics must prevent those analytics technologies from setting analytics cookies or transmitting analytics events through the Site.
Changing or withdrawing a choice must update the consent record and stop future optional analytics. Analytics cookies under the Site’s control should be deleted where technically possible.
Google Tag Manager may load only the tags permitted by the visitor’s current consent choice.
Consent must result from a clear affirmative action. Optional analytics must not be activated by a pre-ticked setting, inactivity, scrolling or merely continuing to use the Site.
The mechanism for withdrawing or changing consent must remain readily accessible and must not make withdrawal more difficult than giving consent.
Cookie lifetime is not the same as provider-side data retention.
The current Google Analytics 4 property retains event data for 2 months and user data for 14 months.
Microsoft Clarity currently retains playback data for 30 days and click/heatmap data and labeled/favorited sessions for up to 9 months.
Consent records are retained for no longer than necessary to demonstrate compliance with applicable consent requirements.
Google Analytics cookies: https://support.google.com/analytics/answer/11397207
Google Consent Mode: https://support.google.com/tagmanager/answer/10000067
Microsoft Clarity cookies: https://learn.microsoft.com/en-us/clarity/setup-and-installation/clarity-cookies
Microsoft Clarity Consent V2: https://learn.microsoft.com/en-us/clarity/setup-and-installation/clarity-consent-api-v2
Third-party policies may change. We review the Site and this inventory whenever tags or providers are added or changed and periodically as part of compliance maintenance.
Cookie and technology providers may process data outside the visitor’s country. International transfers are handled as described in the Privacy Policy using the applicable provider terms and lawful safeguards.
FIXAR may update this Policy when the Site, providers or technologies change. The cookie inventory should be reviewed whenever a relevant tag or provider is added or materially changed. If a new optional provider or purpose is introduced and the visitor’s earlier choice does not validly cover it, renewed consent must be obtained where required before that technology is activated.
Questions about cookies may be sent to FIXAR Global Inc. at info@fixar.pro. Operational address: 2800 Eisenhower Avenue, Suite 220, Alexandria, VA 22314, USA.



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