DSA Transparency
Digital Services Act (DSA) Transparency Information
Venture CO Group · Regulation (EU) 2022/2065 · Last updated: July 2026
Venture CO Group | Last updated: July 2026
About This Page
Venture CO Group, headquartered at 1036 Budapest, Pacsirtamező utca 65. VI. em. 4., Hungary, operates websites and digital products in the European Union, including this website (https://ventureco.group) and software-as-a-service (SaaS) products offered to business customers. We publish this page in the interest of transparency and in accordance with Regulation (EU) 2022/2065 on a Single Market for Digital Services (the “Digital Services Act” or “DSA”), to the extent its provisions apply to our services.
We are a small company, and this page reflects that honestly: it describes what we actually operate, which DSA obligations we consider applicable, and how we meet them.
Single Point of Contact
Pursuant to Articles 11 and 12 of the DSA, Venture CO Group designates the following single point of contact for direct communication with:
- the authorities of EU Member States, the European Commission, and the European Board for Digital Services; and
- recipients of our services.
Email: contact@ventureco.group
Communications are accepted in English and Hungarian. We aim to respond to authority requests without undue delay and to user communications within a reasonable time. This electronic point of contact does not require recipients of the service to rely solely on automated tools: messages sent to this address are read and handled by a person.
Nature of Our Services Under the DSA
The DSA applies primarily to providers of intermediary services (mere conduit, caching, and hosting services), with additional obligations for online platforms and very large online platforms.
Having assessed our services, our position is as follows:
- Our websites are primarily informational and promotional. They present our own content and do not, as a general rule, store or disseminate information provided by users. As such, they mainly do not constitute intermediary services or online platforms within the meaning of the DSA.
- Our SaaS products are business tools. To the extent they store content at the request of business customers, certain hosting-service provisions of the DSA may apply. They are not designed for the public dissemination of user content and we do not consider them online platforms.
- Where user-generated content features exist in any of our products (for example, comment, upload, or community features), we apply a notice-and-action mechanism consistent with Article 16 of the DSA: anyone may report content they consider illegal to contact@ventureco.group, and we will review and act on valid notices.
Notice-and-Action: How to Report Content
If you believe that content hosted on any of our services is illegal, please email contact@ventureco.group with:
- A sufficiently precise indication of where the content is located (e.g., a URL);
- An explanation of why you consider it illegal;
- Your name and email address (unless the report concerns certain serious offenses where anonymity is protected); and
- A statement that your report is accurate and made in good faith.
We will confirm receipt, review the report, inform you of our decision, and remove or disable access to content where warranted.
Content Moderation Approach
Given the nature and scale of our services, our content moderation approach is simple:
- Reports and notices are reviewed manually by our team. We do not use automated content moderation or automated decision-making to remove content.
- Decisions are made case by case, with regard to legality, our terms of service, and fundamental rights, including freedom of expression.
- We do not display advertising based on profiling of minors, and we do not present advertising on our services based on profiling using special categories of personal data.
Average Monthly Active Recipients
Under Article 24(2) of the DSA, providers of online platforms must publish information on their average monthly active recipients in the EU. While we do not consider our services online platforms, we state for transparency that the number of average monthly active recipients of all Venture CO Group digital services in the EU is well below the threshold of 45 million that triggers designation as a very large online platform (VLOP). Our services are used by a modest number of business clients and website visitors, orders of magnitude below any DSA scale threshold.
Supervisory Authority
As a provider established in Hungary, our Digital Services Coordinator, to the extent the DSA applies to our services, is the competent Hungarian authority (the National Media and Infocommunications Authority, NMHH).
Annual Review
We review this page at least annually, and additionally whenever we launch new digital services or features (such as user-generated content functionality) that could change our obligations under the DSA. The “Last updated” date above reflects the most recent review.
Contact
Venture CO Group 1036 Budapest, Pacsirtamező utca 65. VI. em. 4., Hungary contact@ventureco.group