Aug 14, 2025

18 U.S.C. 2257 Record-Keeping Compliance (Fictional Content Statement)

Fantra is a platform for AI-generated content. We hereby affirm that all visual depictions of sexually explicit conduct on Fantra are produced entirely through computer algorithms operated by our users (content creators), and that no actual human beings appear in any of the content. In other words, all characters, images, and scenes are fictional creations made with artificial intelligence tools off the Fantra platform. As a result, Fantra’s content is exempt from the record-keeping requirements of 18 U.S.C. §2257/2257A (which apply only to real human performers in explicit materials).

Fantra.ai operates as an online platform enabling AI-generated creator content, including adult material, to be created, marketed, and monetised. All use of the Platform must comply with applicable laws in each jurisdiction where content is created, distributed, or accessed, including but not limited to: (a) laws regulating adult content and age-restricted material; (b) intellectual property laws; (c) privacy and data protection laws; (d) consumer protection laws; (e) anti-defamation laws; and (f) prohibitions against non-consensual intimate imagery and deepfake pornography. Users are solely responsible for ensuring their activities and content comply with all applicable laws in their territory and the territories where their content may be accessed.

Definitions

For clarity, here are key definitions related to this document.

  • 2257 and 2257A mean 18 U S C section 2257 and section 2257A concerning record keeping for visual depictions of sexually explicit conduct

  • Visual Depictions means images or videos within the scope of the laws referenced above

  • Performer means a real human being who appears in a visual depiction

  • Exempt Content means computer generated content that does not depict a real human being

  • Custodian of Records means the Fantra contact responsible for any records required by law

  • Designated Contact means the address and email listed for enquiries about this Statement

 

The criteria for exemption are met for the following reasons:

  1. The content on Fantra does not depict any actual human being – all persons “appearing” in the imagery or text are fictional, computer-generated figures. There are no live models or performers being filmed or photographed.

  2. All visual depictions are exclusively computer-generated; they are created by AI models based on user prompts and do not involve real cameras or real-life subjects. Even where imagery may appear photorealistic, it is the result of algorithmic generation and not an actual person.

  3. No human being’s image, likeness, or voice is used in any generated content. Fantra’s policies prohibit users from uploading photos or videos of real people or training models on any real person’s likeness. Therefore, our platform never hosts content featuring real identifiable individuals. Every “performer” in Fantra content is a fictional construct.

 

Because of the above facts, Fantra falls outside the scope of 18 U.S.C. §2257/2257A requirements. Those laws mandate producers of adult content to verify ages and keep records for each human performer depicted. On Fantra, there are no human performers at all, thus there is no person for whom we could maintain a 2257 age record. Nonetheless, Fantra maintains a strict commitment to compliance and safety. We voluntarily ensure that any human involvement in content creation (such as user-uploaded avatars, if ever allowed, or voice contributions) would also only involve verified adults. In practice, our Age Verification Policy (above) serves a parallel purpose: every user who might “appear” as him/herself in any way (currently none, since real content is disallowed) is verified to be an adult. This ensures that even in hypothetical scenarios of co-created content or future features, no minors could ever be depicted.

 

2257 Custodian of Records: To the extent that any record-keeping obligations might apply, Fantra Pty Ltd. is the entity responsible for maintaining any required records. The designated Custodian of Records for Fantra can be contacted at the address: Suite 302, 13/15 Wentworth Ave, Sydney NSW 2000 and by email at admin@fantra.ai. Since Fantra content is CGI and not subject to 18 U.S.C. 2257, this information is provided out of an abundance of caution and transparency. Fantra will ensure that proof of age for all users and any real individuals (if ever involved) is properly documented and stored securely, consistent with the law’s intent to prevent minors from being depicted.

 

Fantra remains dedicated to upholding all applicable laws and regulations concerning adult content. We conduct regular audits of our systems and content to confirm ongoing compliance. For any questions or clarifications regarding our compliance with 18 U.S.C. §2257/2257A and related regulations, please contact our legal compliance team at admin@fantra.ai. We will promptly address inquiries from law enforcement or other regulatory officials regarding this statement. 

 

All users and content on Fantra are subject to our Terms of Service and Content Policies, which strictly prohibit any illegal content. In particular, users may not upload any real (non-AI) pornography or any content featuring actual individuals or otherwise unlawful material. (Fantra does not provide any content creation tools, so ‘generate’ in this context simply refers to creating content outside Fantra.) If in the future Fantra’s offerings change – for example, if we ever allow real-life imagery or introduce new AI features – we will implement all required compliance measures (including 18 U.S.C. §2257 record-keeping) and update this statement accordingly. As of now, all content on Fantra is 100% fictional and computer-generated by creators off-site, so no 2257 records are required under the law.