Last updated: 25 September 2026
Version: 1.0
1. About this Cookie Notice
This Cookie Notice explains how Caden Holt uses cookies and similar technologies when you visit cadenholt.com.
The website is operated by:
APOSKITIS FILIPPOS, a sole proprietor established in Greece, operating under the professional and distinctive title Caden Holt.
G.E.M.I. number: 196127203000
Registered office: PAPAFLESSA 23, VOULA, ATTICA, 16673
AFM / VAT identification number: 181491799
Email: support@cadenholt.com
Privacy: privacy@cadenholt.com
Website: https://cadenholt.com
For information about how personal data are otherwise processed through this website, please read the Privacy Notice:
https://cadenholt.com/legal/privacy
This Cookie Notice should be read together with that Privacy Notice.
2. What are cookies and similar technologies?
Cookies are small text files or similar pieces of information that can be stored on, or accessed from, your device when you visit a website.
Depending on their purpose and implementation, similar technologies may include:
cookies;
local storage;
pixels;
device identifiers;
scripts or other technologies that store or access information on a user's device.
The relevant Greek electronic-communications rules do not apply only to traditional browser cookies. The Hellenic Data Protection Authority notes that the applicable framework extends to technologies such as local storage and certain device identifiers.
For purposes of this Notice, the term "cookies" is used as a practical umbrella term for cookies and materially similar technologies.
3. How cookies are regulated
Under Article 4(5) of Greek Law 3471/2006, storing information on or accessing information already stored in a user's terminal equipment generally requires the user's consent after clear and comprehensive information has been provided.
The principal exception applies where the storage or access is used solely to:
transmit a communication over an electronic communications network; or
provide an information-society service expressly requested by the user where the storage/access is necessary for that service.
The Hellenic Data Protection Authority describes these as the essential/technically necessary category for which consent is not required.
Accordingly, Caden Holt distinguishes between:
Strictly necessary technologies
Technologies necessary for:
website delivery;
security;
abuse prevention;
operation of functionality expressly requested by you;
maintaining a requested service.
These may operate without prior consent where the statutory exception applies.
Non-essential technologies
Technologies used for purposes such as:
advertising;
behavioural tracking;
non-essential analytics;
profiling;
personalised marketing;
other purposes that are not necessary for the requested service.
These will not be activated without the consent required by applicable law.
The Hellenic Data Protection Authority explicitly states that non-essential cookies require consent and that simply continuing to browse or scrolling is not a valid form of consent.
4. Current cookie position on cadenholt.com
At the time this Notice is published, Caden Holt does not intentionally deploy advertising, remarketing or behavioural-tracking cookies on cadenholt.com.
The website does not currently use:
Google Analytics;
Microsoft Clarity;
Meta Pixel;
LinkedIn Insight Tag;
Hotjar;
advertising networks;
behavioural advertising systems;
session-replay tools;
cross-site advertising identifiers.
No non-essential cookie category is intentionally enabled by the current website configuration.
This means that the website does not currently require a consent mechanism for non-essential tracking solely because it uses Framer.
Framer itself states that its built-in analytics does not use cookies or persistent identifiers and therefore does not require cookie consent. Framer also states that a cookie banner becomes necessary when a site owner adds third-party services or scripts that use non-essential cookies.
5. Framer
Caden Holt uses Framer to design, host and publish cadenholt.com.
Framer may process technical information in connection with website delivery, security, anti-spam and other platform functions.
Framer's current documentation states that its built-in analytics:
do not use cookies;
do not generate persistent identifiers;
use anonymised measurements;
are designed not to identify individual visitors.
Accordingly, Caden Holt does not treat Framer's built-in analytics as a non-essential cookie technology requiring prior cookie consent.
Framer separately documents certain security, anti-spam and anti-abuse processing that can involve technical information and, depending on configuration, cookies or related mechanisms. Framer's current Privacy Statement identifies IP addresses, cookie information and security/anti-spam signals among data that may be processed in connection with its services.
Where such technologies are strictly necessary for the operation or security of the website, they may fall within the applicable statutory exception from prior consent.
6. Cloudflare
Caden Holt may use Cloudflare for DNS, traffic delivery, security, performance and related infrastructure.
Cloudflare documents a number of cookies that are used only in particular configurations and security products.
Examples include:
__cf_bmfor Cloudflare Bot Management, Bot Fight Mode or related bot protection;cf_clearancefor challenge/verification functionality;__cflbfor session affinity when Cloudflare Load Balancing session affinity is configured;_cfuvidwhere specific Cloudflare rate-limiting functionality requiring visitor differentiation is enabled.
Cloudflare states that these cookies are generally strictly necessary for the relevant services they support. Which cookies are actually present depends on the Cloudflare features enabled for the specific website.
Caden Holt does not intentionally enable optional Cloudflare tracking technologies for advertising or behavioural profiling.
Where a Cloudflare security cookie is placed solely to provide a requested security or infrastructure function, it may operate without consent where the statutory necessity exception applies.
Important limitation
The precise set of Cloudflare cookies is configuration-dependent.
This Notice therefore does not represent that every cookie listed in Cloudflare's general documentation is necessarily present on cadenholt.com.
Only technologies actually active on the website are applicable.
Cloudflare itself recommends that customers disclose relevant Cloudflare cookies to end users and notes that cookie data may be processed in Cloudflare data centres in the United States unless applicable localisation controls are used.
7. Categories of technologies used
The current website can therefore be understood in the following categories.
Category | Current use | Consent |
|---|---|---|
Strictly necessary | Website operation/security where technically required | Not required where statutory necessity exception applies |
Framer built-in analytics | May be enabled; no cookies/persistent identifiers | No cookie consent required |
Non-essential analytics | Not currently used | Consent would be required before activation |
Advertising/remarketing | Not currently used | Consent required before activation |
Session replay | Not currently used | Consent required before activation |
Social-media tracking | Not currently used | Consent required where applicable |
Third-party embedded tracking | Not intentionally used | Consent required where applicable |
8. Strictly necessary technologies
Strictly necessary technologies are used only where they are necessary to provide or secure a service expressly requested by the user or to operate the website as intended.
Depending on the website's actual configuration, these technologies may support:
security;
bot detection;
abuse prevention;
traffic management;
website availability;
technical session functionality;
maintaining requested functionality.
The exact technology can vary depending on the services enabled by the website infrastructure.
Because technically necessary storage/access falls within the statutory exception described by Greek Law 3471/2006, prior consent is not required where the relevant technology is genuinely necessary for the relevant purpose.
9. Analytics
Caden Holt may use Framer's native analytics to understand high-level website performance.
Framer states that its native analytics do not use cookies or persistent identifiers and instead use anonymised measurements, including a daily rotating hashing mechanism for IP address and user-agent information to calculate daily unique visitors.
The analytics information may be used to understand aggregate measures such as:
page views;
unique visitors;
top pages;
traffic sources;
general website usage.
This analytics functionality does not intentionally create a persistent cross-site tracking identifier.
Third-party analytics
Caden Holt does not currently use Google Analytics or equivalent third-party analytics cookies.
If this changes, the relevant technology will be reviewed before deployment and this Cookie Notice will be updated.
Framer itself expressly distinguishes its built-in analytics from third-party analytics such as Google Analytics, noting that third-party services can introduce cookies requiring consent.
10. Marketing and advertising technologies
Caden Holt does not currently use cookies or similar technologies for:
behavioural advertising;
cross-site tracking;
remarketing;
personalised advertising;
advertising audience construction.
No advertising network is intentionally embedded into the current website for these purposes.
If advertising or remarketing functionality is introduced in the future, Caden Holt will not activate non-essential technologies before obtaining the consent required by applicable law.
11. Social-media technologies
Caden Holt may provide ordinary links to external social-media or other third-party websites.
A normal outbound link does not itself necessarily place a third-party cookie on your device.
Where an embedded social-media component, media player, widget or other third-party technology is introduced and that technology stores or accesses information on your device, the implementation will be reviewed to determine whether prior consent is required.
12. Embedded media
The current website is not intentionally configured to load advertising or behavioural-tracking technologies from embedded third-party media providers.
Where embedded content is introduced in the future, the relevant provider, purpose, technology and consent requirement will be reviewed before publication.
This is particularly important for services that may set tracking cookies when an embedded player loads, even where the visitor does not interact with it.
13. Contact forms
The website includes a contact form.
The form is used to collect information that you voluntarily provide for the purpose of communicating with Caden Holt about an enquiry.
Form data are addressed in detail in the Privacy Notice and are not themselves treated as cookies merely because the form is hosted or delivered through Framer.
The contact form may use technical security or anti-spam mechanisms supplied by Framer.
Framer states that its native forms include built-in spam protection and rate-limiting capabilities.
Where those mechanisms use strictly necessary technical technologies, they are treated according to the applicable necessity exception.
14. Cookie consent
Because the current website does not intentionally deploy non-essential cookie-based tracking, Caden Holt does not currently require a general cookie-consent banner solely for the operation of the website.
If non-essential cookie technologies are introduced, Caden Holt will implement an appropriate consent mechanism before those technologies are activated.
The consent mechanism will, where required:
explain the categories of technologies used;
identify the relevant purposes;
permit acceptance;
permit refusal;
provide granular choices where appropriate;
prevent non-essential technologies from loading before consent;
allow consent to be withdrawn;
retain evidence of the consent decision where required.
The Hellenic Data Protection Authority's recommendations state that a compliant consent mechanism should not rely on scrolling or continued browsing, should provide acceptance and rejection with comparable ease, should block non-essential trackers until consent, and should allow withdrawal with comparable ease.
15. Withdrawal of consent
Where Caden Holt uses technologies for which consent is required, you may withdraw your consent at any time.
Withdrawal will not affect the lawfulness of processing carried out before withdrawal.
The withdrawal mechanism will be made reasonably accessible and no more difficult than the mechanism used to provide consent.
The GDPR requires consent withdrawal to be as easy as giving consent.
Where a dedicated cookie-preference mechanism is introduced, you will be able to reopen the relevant settings from the Website.
16. Refusing cookies
You can also control or delete cookies through your browser settings.
However, browser settings are not a substitute for a website's consent mechanism where the law requires the website operator to obtain prior consent for non-essential technologies.
For technologies requiring website-level consent, Caden Holt will provide the appropriate consent mechanism.
The Hellenic Data Protection Authority specifically notes that browser-level settings or preconfigured blocking lists do not by themselves satisfy the website operator's requirement to obtain the required prior consent.
17. Consequences of disabling necessary technologies
If you disable or block technologies that are strictly necessary for security or website operation, certain website functions may not operate correctly.
For example, security and anti-abuse mechanisms may rely on technical information being available to the website infrastructure.
Caden Holt does not intentionally make ordinary website content conditional on accepting non-essential tracking technologies.
The Hellenic Data Protection Authority states that refusal of non-essential tracking should not result in blocking access to ordinary website content through a so-called "cookie wall."
18. International processing
Some technology providers used to operate cadenholt.com may process technical information outside Greece or outside the European Economic Area.
For example, Cloudflare states that cookie data may be processed in the United States by default unless applicable localisation products are used.
Framer's current Privacy Statement likewise describes international processing and transfers involving infrastructure and service providers outside the EEA.
Where personal data are transferred internationally, the relevant provider and Caden Holt will rely on an applicable mechanism under Chapter V GDPR where required, such as:
an adequacy decision;
Standard Contractual Clauses;
another lawful transfer mechanism.
More detail about personal-data transfers is available in the Privacy Notice.
19. Security
Cookies or similar technologies used for security purposes may process technical information such as:
network information;
device characteristics;
browser information;
interaction signals;
security tokens;
challenge or verification state.
These technologies may be necessary to detect and mitigate:
automated abuse;
malicious traffic;
suspicious requests;
attacks;
excessive request rates.
Cloudflare documents such security technologies as part of its network and security services.
Such technologies are not used by Caden Holt to construct advertising profiles.
20. First-party and third-party technologies
A technology may be considered:
First-party
When it is operated by the website domain or on its behalf.
Third-party
When it is provided by another organisation and operates through the Website.
A third-party technology is not automatically non-essential, and a first-party technology is not automatically essential.
The correct classification depends on:
purpose;
necessity;
functionality;
legal basis;
applicable law.
The Hellenic DPA recognises both first-party and third-party cookies and distinguishes their legal treatment according to purpose and necessity.
21. Cookie inventory
Because cookie names and technical behaviour can change when a platform or security configuration changes, the definitive inventory of active technologies is based on the current production configuration of cadenholt.com.
The following are the principal technologies relevant to the current configuration:
Technology / provider | Purpose | Category | Current status |
|---|---|---|---|
Framer native website infrastructure | Website delivery and operation | Strictly necessary | Active as applicable |
Framer native analytics | Aggregate website measurement | Analytics without cookies/persistent identifiers | May be active |
Framer form security / anti-spam | Abuse prevention | Strictly necessary where used | Active as applicable |
Cloudflare security technologies | Security / abuse prevention where enabled | Strictly necessary where used | Configuration-dependent |
Google Analytics | Behavioural/website analytics | Non-essential | Not used |
Microsoft Clarity | Session recording / behavioural analytics | Non-essential | Not used |
Meta Pixel | Advertising / remarketing | Non-essential | Not used |
Hotjar | Behavioural analytics | Non-essential | Not used |
The last four are included expressly to make the current scope clear; they are not currently deployed on cadenholt.com.
Framer's current documentation confirms that third-party services such as Google Analytics can introduce non-essential tracking and that owners must implement appropriate consent mechanisms when such technologies are added.
22. Changes to technologies
Caden Holt may introduce new website functionality or technology over time.
Before introducing a technology that:
stores information on a user's device;
accesses information already stored on the device;
creates a persistent identifier;
performs behavioural tracking;
performs advertising or remarketing;
performs non-essential analytics;
Caden Holt will assess:
whether the technology is necessary;
whether prior consent is required;
whether a consent-management mechanism must be introduced;
whether the Privacy Notice must be updated;
whether this Cookie Notice must be updated;
whether an additional processor or third-party disclosure is required.
The mere addition of a technical script does not itself determine whether consent is required; the actual function and purpose of the technology must be assessed.
23. Changes to this Cookie Notice
This Cookie Notice may be updated when:
technologies change;
the website changes;
new analytics are introduced;
third-party services are added;
legal requirements change;
security infrastructure changes;
the business adopts new functionality.
The current version will always be available at:
https://cadenholt.com/legal/cookies
The latest version will identify the date on which it was last updated.
24. Contact
For questions concerning cookies or similar technologies, contact:
Caden Holt
Professional and trading identity of APOSKITIS FILIPPOS
Email: privacy@cadenholt.com
General support: support@cadenholt.com
25. Complaints
If you believe that Caden Holt has not complied with applicable privacy or cookie requirements, you may first contact:
You also have the right to lodge a complaint with the competent supervisory authority.
For processing carried out in Greece, this is:
Hellenic Data Protection Authority (HDPA)
1–3 Kifisias
115 23 Athens
Greece
Email: contact@dpa.gr
Website: dpa.gr
26. Governing legal framework
This Cookie Notice is intended to describe the use of cookies and similar technologies in accordance with applicable law, including where applicable:
Regulation (EU) 2016/679 (GDPR);
Greek Law 4624/2019;
Greek Law 3471/2006;
applicable European electronic-communications and privacy rules;
other applicable Greek and European legislation.
Nothing in this Cookie Notice limits any mandatory right or protection that cannot legally be excluded.
27. Version history
Version 1.0
Effective: 25 September 2026
Last updated: 25 September 2026
Version: 1.0
1. About this Cookie Notice
This Cookie Notice explains how Caden Holt uses cookies and similar technologies when you visit cadenholt.com.
The website is operated by:
APOSKITIS FILIPPOS, a sole proprietor established in Greece, operating under the professional and distinctive title Caden Holt.
G.E.M.I. number: 196127203000
Registered office: PAPAFLESSA 23, VOULA, ATTICA, 16673
AFM / VAT identification number: 181491799
Email: support@cadenholt.com
Privacy: privacy@cadenholt.com
Website: https://cadenholt.com
For information about how personal data are otherwise processed through this website, please read the Privacy Notice:
https://cadenholt.com/legal/privacy
This Cookie Notice should be read together with that Privacy Notice.
2. What are cookies and similar technologies?
Cookies are small text files or similar pieces of information that can be stored on, or accessed from, your device when you visit a website.
Depending on their purpose and implementation, similar technologies may include:
cookies;
local storage;
pixels;
device identifiers;
scripts or other technologies that store or access information on a user's device.
The relevant Greek electronic-communications rules do not apply only to traditional browser cookies. The Hellenic Data Protection Authority notes that the applicable framework extends to technologies such as local storage and certain device identifiers.
For purposes of this Notice, the term "cookies" is used as a practical umbrella term for cookies and materially similar technologies.
3. How cookies are regulated
Under Article 4(5) of Greek Law 3471/2006, storing information on or accessing information already stored in a user's terminal equipment generally requires the user's consent after clear and comprehensive information has been provided.
The principal exception applies where the storage or access is used solely to:
transmit a communication over an electronic communications network; or
provide an information-society service expressly requested by the user where the storage/access is necessary for that service.
The Hellenic Data Protection Authority describes these as the essential/technically necessary category for which consent is not required.
Accordingly, Caden Holt distinguishes between:
Strictly necessary technologies
Technologies necessary for:
website delivery;
security;
abuse prevention;
operation of functionality expressly requested by you;
maintaining a requested service.
These may operate without prior consent where the statutory exception applies.
Non-essential technologies
Technologies used for purposes such as:
advertising;
behavioural tracking;
non-essential analytics;
profiling;
personalised marketing;
other purposes that are not necessary for the requested service.
These will not be activated without the consent required by applicable law.
The Hellenic Data Protection Authority explicitly states that non-essential cookies require consent and that simply continuing to browse or scrolling is not a valid form of consent.
4. Current cookie position on cadenholt.com
At the time this Notice is published, Caden Holt does not intentionally deploy advertising, remarketing or behavioural-tracking cookies on cadenholt.com.
The website does not currently use:
Google Analytics;
Microsoft Clarity;
Meta Pixel;
LinkedIn Insight Tag;
Hotjar;
advertising networks;
behavioural advertising systems;
session-replay tools;
cross-site advertising identifiers.
No non-essential cookie category is intentionally enabled by the current website configuration.
This means that the website does not currently require a consent mechanism for non-essential tracking solely because it uses Framer.
Framer itself states that its built-in analytics does not use cookies or persistent identifiers and therefore does not require cookie consent. Framer also states that a cookie banner becomes necessary when a site owner adds third-party services or scripts that use non-essential cookies.
5. Framer
Caden Holt uses Framer to design, host and publish cadenholt.com.
Framer may process technical information in connection with website delivery, security, anti-spam and other platform functions.
Framer's current documentation states that its built-in analytics:
do not use cookies;
do not generate persistent identifiers;
use anonymised measurements;
are designed not to identify individual visitors.
Accordingly, Caden Holt does not treat Framer's built-in analytics as a non-essential cookie technology requiring prior cookie consent.
Framer separately documents certain security, anti-spam and anti-abuse processing that can involve technical information and, depending on configuration, cookies or related mechanisms. Framer's current Privacy Statement identifies IP addresses, cookie information and security/anti-spam signals among data that may be processed in connection with its services.
Where such technologies are strictly necessary for the operation or security of the website, they may fall within the applicable statutory exception from prior consent.
6. Cloudflare
Caden Holt may use Cloudflare for DNS, traffic delivery, security, performance and related infrastructure.
Cloudflare documents a number of cookies that are used only in particular configurations and security products.
Examples include:
__cf_bmfor Cloudflare Bot Management, Bot Fight Mode or related bot protection;cf_clearancefor challenge/verification functionality;__cflbfor session affinity when Cloudflare Load Balancing session affinity is configured;_cfuvidwhere specific Cloudflare rate-limiting functionality requiring visitor differentiation is enabled.
Cloudflare states that these cookies are generally strictly necessary for the relevant services they support. Which cookies are actually present depends on the Cloudflare features enabled for the specific website.
Caden Holt does not intentionally enable optional Cloudflare tracking technologies for advertising or behavioural profiling.
Where a Cloudflare security cookie is placed solely to provide a requested security or infrastructure function, it may operate without consent where the statutory necessity exception applies.
Important limitation
The precise set of Cloudflare cookies is configuration-dependent.
This Notice therefore does not represent that every cookie listed in Cloudflare's general documentation is necessarily present on cadenholt.com.
Only technologies actually active on the website are applicable.
Cloudflare itself recommends that customers disclose relevant Cloudflare cookies to end users and notes that cookie data may be processed in Cloudflare data centres in the United States unless applicable localisation controls are used.
7. Categories of technologies used
The current website can therefore be understood in the following categories.
Category | Current use | Consent |
|---|---|---|
Strictly necessary | Website operation/security where technically required | Not required where statutory necessity exception applies |
Framer built-in analytics | May be enabled; no cookies/persistent identifiers | No cookie consent required |
Non-essential analytics | Not currently used | Consent would be required before activation |
Advertising/remarketing | Not currently used | Consent required before activation |
Session replay | Not currently used | Consent required before activation |
Social-media tracking | Not currently used | Consent required where applicable |
Third-party embedded tracking | Not intentionally used | Consent required where applicable |
8. Strictly necessary technologies
Strictly necessary technologies are used only where they are necessary to provide or secure a service expressly requested by the user or to operate the website as intended.
Depending on the website's actual configuration, these technologies may support:
security;
bot detection;
abuse prevention;
traffic management;
website availability;
technical session functionality;
maintaining requested functionality.
The exact technology can vary depending on the services enabled by the website infrastructure.
Because technically necessary storage/access falls within the statutory exception described by Greek Law 3471/2006, prior consent is not required where the relevant technology is genuinely necessary for the relevant purpose.
9. Analytics
Caden Holt may use Framer's native analytics to understand high-level website performance.
Framer states that its native analytics do not use cookies or persistent identifiers and instead use anonymised measurements, including a daily rotating hashing mechanism for IP address and user-agent information to calculate daily unique visitors.
The analytics information may be used to understand aggregate measures such as:
page views;
unique visitors;
top pages;
traffic sources;
general website usage.
This analytics functionality does not intentionally create a persistent cross-site tracking identifier.
Third-party analytics
Caden Holt does not currently use Google Analytics or equivalent third-party analytics cookies.
If this changes, the relevant technology will be reviewed before deployment and this Cookie Notice will be updated.
Framer itself expressly distinguishes its built-in analytics from third-party analytics such as Google Analytics, noting that third-party services can introduce cookies requiring consent.
10. Marketing and advertising technologies
Caden Holt does not currently use cookies or similar technologies for:
behavioural advertising;
cross-site tracking;
remarketing;
personalised advertising;
advertising audience construction.
No advertising network is intentionally embedded into the current website for these purposes.
If advertising or remarketing functionality is introduced in the future, Caden Holt will not activate non-essential technologies before obtaining the consent required by applicable law.
11. Social-media technologies
Caden Holt may provide ordinary links to external social-media or other third-party websites.
A normal outbound link does not itself necessarily place a third-party cookie on your device.
Where an embedded social-media component, media player, widget or other third-party technology is introduced and that technology stores or accesses information on your device, the implementation will be reviewed to determine whether prior consent is required.
12. Embedded media
The current website is not intentionally configured to load advertising or behavioural-tracking technologies from embedded third-party media providers.
Where embedded content is introduced in the future, the relevant provider, purpose, technology and consent requirement will be reviewed before publication.
This is particularly important for services that may set tracking cookies when an embedded player loads, even where the visitor does not interact with it.
13. Contact forms
The website includes a contact form.
The form is used to collect information that you voluntarily provide for the purpose of communicating with Caden Holt about an enquiry.
Form data are addressed in detail in the Privacy Notice and are not themselves treated as cookies merely because the form is hosted or delivered through Framer.
The contact form may use technical security or anti-spam mechanisms supplied by Framer.
Framer states that its native forms include built-in spam protection and rate-limiting capabilities.
Where those mechanisms use strictly necessary technical technologies, they are treated according to the applicable necessity exception.
14. Cookie consent
Because the current website does not intentionally deploy non-essential cookie-based tracking, Caden Holt does not currently require a general cookie-consent banner solely for the operation of the website.
If non-essential cookie technologies are introduced, Caden Holt will implement an appropriate consent mechanism before those technologies are activated.
The consent mechanism will, where required:
explain the categories of technologies used;
identify the relevant purposes;
permit acceptance;
permit refusal;
provide granular choices where appropriate;
prevent non-essential technologies from loading before consent;
allow consent to be withdrawn;
retain evidence of the consent decision where required.
The Hellenic Data Protection Authority's recommendations state that a compliant consent mechanism should not rely on scrolling or continued browsing, should provide acceptance and rejection with comparable ease, should block non-essential trackers until consent, and should allow withdrawal with comparable ease.
15. Withdrawal of consent
Where Caden Holt uses technologies for which consent is required, you may withdraw your consent at any time.
Withdrawal will not affect the lawfulness of processing carried out before withdrawal.
The withdrawal mechanism will be made reasonably accessible and no more difficult than the mechanism used to provide consent.
The GDPR requires consent withdrawal to be as easy as giving consent.
Where a dedicated cookie-preference mechanism is introduced, you will be able to reopen the relevant settings from the Website.
16. Refusing cookies
You can also control or delete cookies through your browser settings.
However, browser settings are not a substitute for a website's consent mechanism where the law requires the website operator to obtain prior consent for non-essential technologies.
For technologies requiring website-level consent, Caden Holt will provide the appropriate consent mechanism.
The Hellenic Data Protection Authority specifically notes that browser-level settings or preconfigured blocking lists do not by themselves satisfy the website operator's requirement to obtain the required prior consent.
17. Consequences of disabling necessary technologies
If you disable or block technologies that are strictly necessary for security or website operation, certain website functions may not operate correctly.
For example, security and anti-abuse mechanisms may rely on technical information being available to the website infrastructure.
Caden Holt does not intentionally make ordinary website content conditional on accepting non-essential tracking technologies.
The Hellenic Data Protection Authority states that refusal of non-essential tracking should not result in blocking access to ordinary website content through a so-called "cookie wall."
18. International processing
Some technology providers used to operate cadenholt.com may process technical information outside Greece or outside the European Economic Area.
For example, Cloudflare states that cookie data may be processed in the United States by default unless applicable localisation products are used.
Framer's current Privacy Statement likewise describes international processing and transfers involving infrastructure and service providers outside the EEA.
Where personal data are transferred internationally, the relevant provider and Caden Holt will rely on an applicable mechanism under Chapter V GDPR where required, such as:
an adequacy decision;
Standard Contractual Clauses;
another lawful transfer mechanism.
More detail about personal-data transfers is available in the Privacy Notice.
19. Security
Cookies or similar technologies used for security purposes may process technical information such as:
network information;
device characteristics;
browser information;
interaction signals;
security tokens;
challenge or verification state.
These technologies may be necessary to detect and mitigate:
automated abuse;
malicious traffic;
suspicious requests;
attacks;
excessive request rates.
Cloudflare documents such security technologies as part of its network and security services.
Such technologies are not used by Caden Holt to construct advertising profiles.
20. First-party and third-party technologies
A technology may be considered:
First-party
When it is operated by the website domain or on its behalf.
Third-party
When it is provided by another organisation and operates through the Website.
A third-party technology is not automatically non-essential, and a first-party technology is not automatically essential.
The correct classification depends on:
purpose;
necessity;
functionality;
legal basis;
applicable law.
The Hellenic DPA recognises both first-party and third-party cookies and distinguishes their legal treatment according to purpose and necessity.
21. Cookie inventory
Because cookie names and technical behaviour can change when a platform or security configuration changes, the definitive inventory of active technologies is based on the current production configuration of cadenholt.com.
The following are the principal technologies relevant to the current configuration:
Technology / provider | Purpose | Category | Current status |
|---|---|---|---|
Framer native website infrastructure | Website delivery and operation | Strictly necessary | Active as applicable |
Framer native analytics | Aggregate website measurement | Analytics without cookies/persistent identifiers | May be active |
Framer form security / anti-spam | Abuse prevention | Strictly necessary where used | Active as applicable |
Cloudflare security technologies | Security / abuse prevention where enabled | Strictly necessary where used | Configuration-dependent |
Google Analytics | Behavioural/website analytics | Non-essential | Not used |
Microsoft Clarity | Session recording / behavioural analytics | Non-essential | Not used |
Meta Pixel | Advertising / remarketing | Non-essential | Not used |
Hotjar | Behavioural analytics | Non-essential | Not used |
The last four are included expressly to make the current scope clear; they are not currently deployed on cadenholt.com.
Framer's current documentation confirms that third-party services such as Google Analytics can introduce non-essential tracking and that owners must implement appropriate consent mechanisms when such technologies are added.
22. Changes to technologies
Caden Holt may introduce new website functionality or technology over time.
Before introducing a technology that:
stores information on a user's device;
accesses information already stored on the device;
creates a persistent identifier;
performs behavioural tracking;
performs advertising or remarketing;
performs non-essential analytics;
Caden Holt will assess:
whether the technology is necessary;
whether prior consent is required;
whether a consent-management mechanism must be introduced;
whether the Privacy Notice must be updated;
whether this Cookie Notice must be updated;
whether an additional processor or third-party disclosure is required.
The mere addition of a technical script does not itself determine whether consent is required; the actual function and purpose of the technology must be assessed.
23. Changes to this Cookie Notice
This Cookie Notice may be updated when:
technologies change;
the website changes;
new analytics are introduced;
third-party services are added;
legal requirements change;
security infrastructure changes;
the business adopts new functionality.
The current version will always be available at:
https://cadenholt.com/legal/cookies
The latest version will identify the date on which it was last updated.
24. Contact
For questions concerning cookies or similar technologies, contact:
Caden Holt
Professional and trading identity of APOSKITIS FILIPPOS
Email: privacy@cadenholt.com
General support: support@cadenholt.com
25. Complaints
If you believe that Caden Holt has not complied with applicable privacy or cookie requirements, you may first contact:
You also have the right to lodge a complaint with the competent supervisory authority.
For processing carried out in Greece, this is:
Hellenic Data Protection Authority (HDPA)
1–3 Kifisias
115 23 Athens
Greece
Email: contact@dpa.gr
Website: dpa.gr
26. Governing legal framework
This Cookie Notice is intended to describe the use of cookies and similar technologies in accordance with applicable law, including where applicable:
Regulation (EU) 2016/679 (GDPR);
Greek Law 4624/2019;
Greek Law 3471/2006;
applicable European electronic-communications and privacy rules;
other applicable Greek and European legislation.
Nothing in this Cookie Notice limits any mandatory right or protection that cannot legally be excluded.
27. Version history
Version 1.0
Effective: 25 September 2026
Last updated: 25 September 2026
Version: 1.0
1. About this Cookie Notice
This Cookie Notice explains how Caden Holt uses cookies and similar technologies when you visit cadenholt.com.
The website is operated by:
APOSKITIS FILIPPOS, a sole proprietor established in Greece, operating under the professional and distinctive title Caden Holt.
G.E.M.I. number: 196127203000
Registered office: PAPAFLESSA 23, VOULA, ATTICA, 16673
AFM / VAT identification number: 181491799
Email: support@cadenholt.com
Privacy: privacy@cadenholt.com
Website: https://cadenholt.com
For information about how personal data are otherwise processed through this website, please read the Privacy Notice:
https://cadenholt.com/legal/privacy
This Cookie Notice should be read together with that Privacy Notice.
2. What are cookies and similar technologies?
Cookies are small text files or similar pieces of information that can be stored on, or accessed from, your device when you visit a website.
Depending on their purpose and implementation, similar technologies may include:
cookies;
local storage;
pixels;
device identifiers;
scripts or other technologies that store or access information on a user's device.
The relevant Greek electronic-communications rules do not apply only to traditional browser cookies. The Hellenic Data Protection Authority notes that the applicable framework extends to technologies such as local storage and certain device identifiers.
For purposes of this Notice, the term "cookies" is used as a practical umbrella term for cookies and materially similar technologies.
3. How cookies are regulated
Under Article 4(5) of Greek Law 3471/2006, storing information on or accessing information already stored in a user's terminal equipment generally requires the user's consent after clear and comprehensive information has been provided.
The principal exception applies where the storage or access is used solely to:
transmit a communication over an electronic communications network; or
provide an information-society service expressly requested by the user where the storage/access is necessary for that service.
The Hellenic Data Protection Authority describes these as the essential/technically necessary category for which consent is not required.
Accordingly, Caden Holt distinguishes between:
Strictly necessary technologies
Technologies necessary for:
website delivery;
security;
abuse prevention;
operation of functionality expressly requested by you;
maintaining a requested service.
These may operate without prior consent where the statutory exception applies.
Non-essential technologies
Technologies used for purposes such as:
advertising;
behavioural tracking;
non-essential analytics;
profiling;
personalised marketing;
other purposes that are not necessary for the requested service.
These will not be activated without the consent required by applicable law.
The Hellenic Data Protection Authority explicitly states that non-essential cookies require consent and that simply continuing to browse or scrolling is not a valid form of consent.
4. Current cookie position on cadenholt.com
At the time this Notice is published, Caden Holt does not intentionally deploy advertising, remarketing or behavioural-tracking cookies on cadenholt.com.
The website does not currently use:
Google Analytics;
Microsoft Clarity;
Meta Pixel;
LinkedIn Insight Tag;
Hotjar;
advertising networks;
behavioural advertising systems;
session-replay tools;
cross-site advertising identifiers.
No non-essential cookie category is intentionally enabled by the current website configuration.
This means that the website does not currently require a consent mechanism for non-essential tracking solely because it uses Framer.
Framer itself states that its built-in analytics does not use cookies or persistent identifiers and therefore does not require cookie consent. Framer also states that a cookie banner becomes necessary when a site owner adds third-party services or scripts that use non-essential cookies.
5. Framer
Caden Holt uses Framer to design, host and publish cadenholt.com.
Framer may process technical information in connection with website delivery, security, anti-spam and other platform functions.
Framer's current documentation states that its built-in analytics:
do not use cookies;
do not generate persistent identifiers;
use anonymised measurements;
are designed not to identify individual visitors.
Accordingly, Caden Holt does not treat Framer's built-in analytics as a non-essential cookie technology requiring prior cookie consent.
Framer separately documents certain security, anti-spam and anti-abuse processing that can involve technical information and, depending on configuration, cookies or related mechanisms. Framer's current Privacy Statement identifies IP addresses, cookie information and security/anti-spam signals among data that may be processed in connection with its services.
Where such technologies are strictly necessary for the operation or security of the website, they may fall within the applicable statutory exception from prior consent.
6. Cloudflare
Caden Holt may use Cloudflare for DNS, traffic delivery, security, performance and related infrastructure.
Cloudflare documents a number of cookies that are used only in particular configurations and security products.
Examples include:
__cf_bmfor Cloudflare Bot Management, Bot Fight Mode or related bot protection;cf_clearancefor challenge/verification functionality;__cflbfor session affinity when Cloudflare Load Balancing session affinity is configured;_cfuvidwhere specific Cloudflare rate-limiting functionality requiring visitor differentiation is enabled.
Cloudflare states that these cookies are generally strictly necessary for the relevant services they support. Which cookies are actually present depends on the Cloudflare features enabled for the specific website.
Caden Holt does not intentionally enable optional Cloudflare tracking technologies for advertising or behavioural profiling.
Where a Cloudflare security cookie is placed solely to provide a requested security or infrastructure function, it may operate without consent where the statutory necessity exception applies.
Important limitation
The precise set of Cloudflare cookies is configuration-dependent.
This Notice therefore does not represent that every cookie listed in Cloudflare's general documentation is necessarily present on cadenholt.com.
Only technologies actually active on the website are applicable.
Cloudflare itself recommends that customers disclose relevant Cloudflare cookies to end users and notes that cookie data may be processed in Cloudflare data centres in the United States unless applicable localisation controls are used.
7. Categories of technologies used
The current website can therefore be understood in the following categories.
Category | Current use | Consent |
|---|---|---|
Strictly necessary | Website operation/security where technically required | Not required where statutory necessity exception applies |
Framer built-in analytics | May be enabled; no cookies/persistent identifiers | No cookie consent required |
Non-essential analytics | Not currently used | Consent would be required before activation |
Advertising/remarketing | Not currently used | Consent required before activation |
Session replay | Not currently used | Consent required before activation |
Social-media tracking | Not currently used | Consent required where applicable |
Third-party embedded tracking | Not intentionally used | Consent required where applicable |
8. Strictly necessary technologies
Strictly necessary technologies are used only where they are necessary to provide or secure a service expressly requested by the user or to operate the website as intended.
Depending on the website's actual configuration, these technologies may support:
security;
bot detection;
abuse prevention;
traffic management;
website availability;
technical session functionality;
maintaining requested functionality.
The exact technology can vary depending on the services enabled by the website infrastructure.
Because technically necessary storage/access falls within the statutory exception described by Greek Law 3471/2006, prior consent is not required where the relevant technology is genuinely necessary for the relevant purpose.
9. Analytics
Caden Holt may use Framer's native analytics to understand high-level website performance.
Framer states that its native analytics do not use cookies or persistent identifiers and instead use anonymised measurements, including a daily rotating hashing mechanism for IP address and user-agent information to calculate daily unique visitors.
The analytics information may be used to understand aggregate measures such as:
page views;
unique visitors;
top pages;
traffic sources;
general website usage.
This analytics functionality does not intentionally create a persistent cross-site tracking identifier.
Third-party analytics
Caden Holt does not currently use Google Analytics or equivalent third-party analytics cookies.
If this changes, the relevant technology will be reviewed before deployment and this Cookie Notice will be updated.
Framer itself expressly distinguishes its built-in analytics from third-party analytics such as Google Analytics, noting that third-party services can introduce cookies requiring consent.
10. Marketing and advertising technologies
Caden Holt does not currently use cookies or similar technologies for:
behavioural advertising;
cross-site tracking;
remarketing;
personalised advertising;
advertising audience construction.
No advertising network is intentionally embedded into the current website for these purposes.
If advertising or remarketing functionality is introduced in the future, Caden Holt will not activate non-essential technologies before obtaining the consent required by applicable law.
11. Social-media technologies
Caden Holt may provide ordinary links to external social-media or other third-party websites.
A normal outbound link does not itself necessarily place a third-party cookie on your device.
Where an embedded social-media component, media player, widget or other third-party technology is introduced and that technology stores or accesses information on your device, the implementation will be reviewed to determine whether prior consent is required.
12. Embedded media
The current website is not intentionally configured to load advertising or behavioural-tracking technologies from embedded third-party media providers.
Where embedded content is introduced in the future, the relevant provider, purpose, technology and consent requirement will be reviewed before publication.
This is particularly important for services that may set tracking cookies when an embedded player loads, even where the visitor does not interact with it.
13. Contact forms
The website includes a contact form.
The form is used to collect information that you voluntarily provide for the purpose of communicating with Caden Holt about an enquiry.
Form data are addressed in detail in the Privacy Notice and are not themselves treated as cookies merely because the form is hosted or delivered through Framer.
The contact form may use technical security or anti-spam mechanisms supplied by Framer.
Framer states that its native forms include built-in spam protection and rate-limiting capabilities.
Where those mechanisms use strictly necessary technical technologies, they are treated according to the applicable necessity exception.
14. Cookie consent
Because the current website does not intentionally deploy non-essential cookie-based tracking, Caden Holt does not currently require a general cookie-consent banner solely for the operation of the website.
If non-essential cookie technologies are introduced, Caden Holt will implement an appropriate consent mechanism before those technologies are activated.
The consent mechanism will, where required:
explain the categories of technologies used;
identify the relevant purposes;
permit acceptance;
permit refusal;
provide granular choices where appropriate;
prevent non-essential technologies from loading before consent;
allow consent to be withdrawn;
retain evidence of the consent decision where required.
The Hellenic Data Protection Authority's recommendations state that a compliant consent mechanism should not rely on scrolling or continued browsing, should provide acceptance and rejection with comparable ease, should block non-essential trackers until consent, and should allow withdrawal with comparable ease.
15. Withdrawal of consent
Where Caden Holt uses technologies for which consent is required, you may withdraw your consent at any time.
Withdrawal will not affect the lawfulness of processing carried out before withdrawal.
The withdrawal mechanism will be made reasonably accessible and no more difficult than the mechanism used to provide consent.
The GDPR requires consent withdrawal to be as easy as giving consent.
Where a dedicated cookie-preference mechanism is introduced, you will be able to reopen the relevant settings from the Website.
16. Refusing cookies
You can also control or delete cookies through your browser settings.
However, browser settings are not a substitute for a website's consent mechanism where the law requires the website operator to obtain prior consent for non-essential technologies.
For technologies requiring website-level consent, Caden Holt will provide the appropriate consent mechanism.
The Hellenic Data Protection Authority specifically notes that browser-level settings or preconfigured blocking lists do not by themselves satisfy the website operator's requirement to obtain the required prior consent.
17. Consequences of disabling necessary technologies
If you disable or block technologies that are strictly necessary for security or website operation, certain website functions may not operate correctly.
For example, security and anti-abuse mechanisms may rely on technical information being available to the website infrastructure.
Caden Holt does not intentionally make ordinary website content conditional on accepting non-essential tracking technologies.
The Hellenic Data Protection Authority states that refusal of non-essential tracking should not result in blocking access to ordinary website content through a so-called "cookie wall."
18. International processing
Some technology providers used to operate cadenholt.com may process technical information outside Greece or outside the European Economic Area.
For example, Cloudflare states that cookie data may be processed in the United States by default unless applicable localisation products are used.
Framer's current Privacy Statement likewise describes international processing and transfers involving infrastructure and service providers outside the EEA.
Where personal data are transferred internationally, the relevant provider and Caden Holt will rely on an applicable mechanism under Chapter V GDPR where required, such as:
an adequacy decision;
Standard Contractual Clauses;
another lawful transfer mechanism.
More detail about personal-data transfers is available in the Privacy Notice.
19. Security
Cookies or similar technologies used for security purposes may process technical information such as:
network information;
device characteristics;
browser information;
interaction signals;
security tokens;
challenge or verification state.
These technologies may be necessary to detect and mitigate:
automated abuse;
malicious traffic;
suspicious requests;
attacks;
excessive request rates.
Cloudflare documents such security technologies as part of its network and security services.
Such technologies are not used by Caden Holt to construct advertising profiles.
20. First-party and third-party technologies
A technology may be considered:
First-party
When it is operated by the website domain or on its behalf.
Third-party
When it is provided by another organisation and operates through the Website.
A third-party technology is not automatically non-essential, and a first-party technology is not automatically essential.
The correct classification depends on:
purpose;
necessity;
functionality;
legal basis;
applicable law.
The Hellenic DPA recognises both first-party and third-party cookies and distinguishes their legal treatment according to purpose and necessity.
21. Cookie inventory
Because cookie names and technical behaviour can change when a platform or security configuration changes, the definitive inventory of active technologies is based on the current production configuration of cadenholt.com.
The following are the principal technologies relevant to the current configuration:
Technology / provider | Purpose | Category | Current status |
|---|---|---|---|
Framer native website infrastructure | Website delivery and operation | Strictly necessary | Active as applicable |
Framer native analytics | Aggregate website measurement | Analytics without cookies/persistent identifiers | May be active |
Framer form security / anti-spam | Abuse prevention | Strictly necessary where used | Active as applicable |
Cloudflare security technologies | Security / abuse prevention where enabled | Strictly necessary where used | Configuration-dependent |
Google Analytics | Behavioural/website analytics | Non-essential | Not used |
Microsoft Clarity | Session recording / behavioural analytics | Non-essential | Not used |
Meta Pixel | Advertising / remarketing | Non-essential | Not used |
Hotjar | Behavioural analytics | Non-essential | Not used |
The last four are included expressly to make the current scope clear; they are not currently deployed on cadenholt.com.
Framer's current documentation confirms that third-party services such as Google Analytics can introduce non-essential tracking and that owners must implement appropriate consent mechanisms when such technologies are added.
22. Changes to technologies
Caden Holt may introduce new website functionality or technology over time.
Before introducing a technology that:
stores information on a user's device;
accesses information already stored on the device;
creates a persistent identifier;
performs behavioural tracking;
performs advertising or remarketing;
performs non-essential analytics;
Caden Holt will assess:
whether the technology is necessary;
whether prior consent is required;
whether a consent-management mechanism must be introduced;
whether the Privacy Notice must be updated;
whether this Cookie Notice must be updated;
whether an additional processor or third-party disclosure is required.
The mere addition of a technical script does not itself determine whether consent is required; the actual function and purpose of the technology must be assessed.
23. Changes to this Cookie Notice
This Cookie Notice may be updated when:
technologies change;
the website changes;
new analytics are introduced;
third-party services are added;
legal requirements change;
security infrastructure changes;
the business adopts new functionality.
The current version will always be available at:
https://cadenholt.com/legal/cookies
The latest version will identify the date on which it was last updated.
24. Contact
For questions concerning cookies or similar technologies, contact:
Caden Holt
Professional and trading identity of APOSKITIS FILIPPOS
Email: privacy@cadenholt.com
General support: support@cadenholt.com
25. Complaints
If you believe that Caden Holt has not complied with applicable privacy or cookie requirements, you may first contact:
You also have the right to lodge a complaint with the competent supervisory authority.
For processing carried out in Greece, this is:
Hellenic Data Protection Authority (HDPA)
1–3 Kifisias
115 23 Athens
Greece
Email: contact@dpa.gr
Website: dpa.gr
26. Governing legal framework
This Cookie Notice is intended to describe the use of cookies and similar technologies in accordance with applicable law, including where applicable:
Regulation (EU) 2016/679 (GDPR);
Greek Law 4624/2019;
Greek Law 3471/2006;
applicable European electronic-communications and privacy rules;
other applicable Greek and European legislation.
Nothing in this Cookie Notice limits any mandatory right or protection that cannot legally be excluded.
27. Version history
Version 1.0
Effective: 25 September 2026