Lemeng Silicone is the English B2B brand and website operated by Guangdong Huayang Industrial Co., Ltd. Guangdong Huayang Industrial Co., Ltd. is the legal entity responsible for manufacturing operations, business communications, and RFQ data processing.
Pending confirmation: The verified website operator and privacy contact are published below. The production cookie inventory, consent-management method, analytics/marketing decision and third-party cookie details remain pending confirmation.
Who Operates This Website?
Qishi Town
Dongguan City
Guangdong Province
China
What Does This Policy Cover?
This policy covers cookies and similar technologies used on the production website operated by Pending Confirmation. It should be read with the Privacy Policy, which explains personal-data processing and rights.
The final policy must apply to the exact domain, subdomains, form providers, embedded services, and regional consent configuration used at launch.
What Are Cookies and Similar Technologies?
A cookie is a small text file that a website or service stores on a computer, phone, or other device. Session cookies generally expire when the browser session ends; persistent cookies remain until their set expiry or deletion. First-party cookies are set by the visited site, while third-party cookies are set by another service.
Similar technologies may include local storage, pixels, tags, SDKs, device identifiers, scripts, and other methods that store or access information on a device. The final inventory must include them where applicable rather than limiting disclosure to files called “cookies.”
Why Might the Website Use Cookies?
Depending on the approved production configuration, cookies may be used to:
- Operate essential website, security, load-balancing, form, and consent functions.
- Remember language, region, accessibility, form, or other user preferences.
- Understand website performance, page use, errors, and inquiry journeys through consented analytics.
- Support embedded media, maps, chat, social, or other selected functionality.
- Measure or personalize marketing only when approved, disclosed, and legally permitted.
Cookies should not be deployed merely because a plugin or provider enables them by default.
Which Cookie Categories May Be Used?
Which Cookies Are Currently Declared?
| Category | Cookie / Technology | Provider and Purpose | Duration | Consent Status |
|---|---|---|---|---|
| Strictly Necessary | Pending Confirmation | Document security, consent-preference, form-session, load-balancing, or other essential tools actually used. | Pending Confirmation | Disclose; exemption must be reviewed. |
| Functional | Pending Confirmation | Document optional preferences, embedded services, or enhanced functionality. | Pending Confirmation | Pending Confirmation |
| Analytics | Pending Confirmation | Identify analytics provider, data, IP handling, purpose, cross-site behavior, and processor role. | Pending Confirmation | Prior consent where required. |
| Marketing | None approved in prototype. | Do not deploy unless business purpose, provider, data flow, consent, opt-out, and legal requirements are approved. | Not applicable | Optional; off by default. |
How Is Cookie Consent Managed?
Where applicable law requires consent, non-essential technologies should remain blocked until the visitor makes a freely given, specific, informed, and unambiguous choice. Continuing to browse, inactivity, pre-selected boxes, or a difficult-to-find policy should not be treated as consent.
- The first layer should provide clear Accept, Reject, and Manage Choices options appropriate to the region.
- Rejecting non-essential cookies should be as accessible as accepting them.
- Categories and providers should not be bundled in a misleading way.
- Consent choices and versions should be recorded only as needed to demonstrate and respect the preference.
- Visitors should be able to withdraw or change consent as easily as they gave it.
- New providers or purposes may require renewed notice and consent.
Strictly necessary technologies may be used without consent only when the legal exemption genuinely applies; they should still be disclosed.
How Do Third-Party Cookies and Embedded Services Work?
Analytics, video, map, chat, form, anti-spam, CDN, security, CRM, social, and marketing providers may set or read their own technologies. The production site must disclose the providers actually used, link to relevant notices where appropriate, control loading before consent, and explain any cross-border or controller/processor implications.
Following a third-party link leaves this website and is subject to that provider's own terms, privacy, and cookie practices.
How Can Visitors Manage Cookies?
The live site must provide a persistent Cookie Settings control that reopens the consent manager. Until a Consent Management Platform is configured, this prototype cannot change production preferences.
Blocking all cookies may prevent security, form, preference, or embedded features from working correctly.
How Is the Cookie Policy Maintained?
The responsible team should rescan the production site when plugins, themes, forms, analytics, embeds, hosting, CDN, security, CRM, chat, or marketing services change. The public inventory, consent banner, Privacy Policy, processor record, and Last Updated date must remain aligned.
Cookie and Privacy Contact
Use the verified contact for questions about cookies or privacy choices.
- Website Operator
- Pending Confirmation
- Privacy Email
- info@lemengshop.com
- Cookie Settings
- Pending Confirmation
This prototype is a transparency and implementation framework, not legal advice. Cookie requirements vary by technology, purpose, user location, and applicable law.