Last updated: Aug 20, 2026
These standards describe how Nimply prevents, detects, and responds to child sexual abuse and exploitation (CSAE), including child sexual abuse material (CSAM), across our services — our website, web application, and the Nimply mobile apps for iOS and Android (together, the "Services").
Nimply is a product of Admire Digital Marketing FZC, a company based in the SPC Free Zone, Sharjah, United Arab Emirates. Nimply is a social media management platform used by businesses, creators, and teams to plan, schedule, and publish content to their own social media accounts.
Nimply has zero tolerance for child sexual abuse and exploitation. We prohibit any use of our Services to create, upload, store, publish, distribute, or promote CSAM or any content that sexualizes, exploits, or endangers minors. This prohibition applies to all content handled through the Services, including scheduled posts, media uploads, AI-assisted content, and messages.
Nimply is a professional tool for managing business and creator social media accounts. Our Terms of Service require every user to be at least 18 years old. Nimply is not directed at children, and we do not knowingly allow minors to create accounts.
The following are strictly prohibited on the Services:
Violation of these standards results in immediate removal of the content and termination of the account, without notice and without refund.
Anyone — users and non-users alike — can report suspected CSAE or CSAM connected to the Services:
Reports are reviewed by a human. We prioritize child safety reports above all other support requests and aim to take action within 24 hours. Please do not attach or forward suspected CSAM in your report — describe where it is and we will handle it.
If a child is in immediate danger, contact your local police or emergency services first.
When we become aware of CSAM or CSAE on the Services — through a user report, a notice from a partner platform, or our own review — we:
Nimply complies with applicable child safety laws in the regions where the Services are offered, including legal obligations to report CSAM to the appropriate authorities. Content published through Nimply is delivered to third-party social platforms (such as Facebook, Instagram, TikTok, and YouTube), and use of the Services must also comply with those platforms' own child safety policies.
Our designated child safety point of contact is available at farman@nimply.io and is prepared to speak about Nimply's CSAM prevention practices and our compliance with child safety requirements, including Google Play's Child Safety Standards policy.