Aug 14, 2025
Anti-Slavery and Anti-Trafficking Statement
Introduction and Commitment
Fantra is firmly committed to the principles of human rights, dignity, and freedom. We have zero tolerance for modern slavery, human trafficking, forced labour, or servitude in any part of our operations or supply chains. This Anti-Slavery and Anti-Trafficking Statement is made in the spirit of compliance with the UK Modern Slavery Act 2015 and Australia’s Modern Slavery Act 2018 (Cth), and it outlines the steps Fantra takes to prevent modern slavery in our business. While Fantra is an AI-only adult content platform (with no physical product supply chain and no depictions of real persons in content), we recognise our responsibility to combat modern slavery globally. We are committed to acting ethically and with integrity in all business dealings and to implementing and enforcing systems that ensure modern slavery is not taking place anywhere in our business or in any partnerships.
Definitions
For clarity, here are key definitions related to this document.
· Modern Slavery means slavery, servitude, forced labour, debt bondage and human trafficking as defined by applicable laws
· Human Trafficking means the recruitment, harbouring or movement of persons by improper means for exploitation
· Supplier means any third party that provides goods or services to Fantra
· Whistleblower means a person who reports concerns in good faith and is protected from retaliation
· Reporting Channel means the contact details published for raising concerns with Fantra
· Creator means a verified adult who publishes permitted content on the Service
Our Business:
Fantra is a digital platform and online community that hosts fictional, AI-generated adult content. It operates similarly to a social media site, where approved “creators” upload and publish their own AI-generated content for viewing by “fans” (subscribers). Fantra does not currently provide content creation tools on-platform (though may in the future), nor does it produce physical goods or employ live performers or models. The platform is based in Australia and serves both creators and fans internationally. Given the digital and decentralised nature of our operations, the risk of modern slavery within our direct business activities is low. Nonetheless, we remain vigilant, particularly in areas such as creator onboarding, identity verification, and any outsourced services.
Governance and Policies
To ensure we uphold our anti-slavery commitments, Fantra has put in place robust policies and procedures:
· Employee and Contractor Conduct: Fantra maintains internal policies for our employees and any contractors that strictly prohibit any form of forced or bonded labour. We hire staff through fair, legal employment practices and verify that all staff working for Fantra (whether directly or via agencies) are doing so of their own free will, under lawful employment contracts, and are paid at least minimum wage or above, with all legally mandated benefits. We do not confiscate personal documents or levy any recruitment fees that could create a debt bondage situation. Our staff are educated on workplace rights and have channels to report any concerns.
· Supplier and Partner Standards: Although Fantra’s business does not rely on extensive supply chains, we do engage with certain third-party service providers (for example, AI infrastructure providers, payment processors, cloud hosting, content moderation services, etc.). We endeavour to work with reputable companies and, where possible, include contractual clauses requiring our suppliers to comply with anti-slavery laws and ethical standards. We assess the risk profile of key suppliers. Given that our key suppliers are in the technology and financial services sectors, often in low-risk jurisdictions (e.g. Australia, US, EU), the risk of modern slavery is deemed low. Nonetheless, if we were to discover any supplier involved in modern slavery, we would address it immediately, including the possibility of terminating the relationship and reporting the issue to authorities.
· Creator and User Policies: Fantra’s Terms of Use and Code of Conduct incorporate provisions that prohibit any activities relating to human trafficking or exploitation on our platform. We do not permit any content that sexualises forced labour, trafficking, or non-consensual sexual activity. Any user or creator found to be promoting or soliciting trafficking or exploitation will be banned and reported. Importantly, all content on Fantra is fictional and involves no real persons; thus, there are no actual performers who could be subject to coercion. We have strict content moderation to ensure no imagery or scenario on the platform depicts real instances of abuse or trafficked individuals. This also serves to prevent normalisation of such criminal activities.
· Whistleblower and Grievance Mechanisms: We encourage a culture of openness. Internally, employees are encouraged to report (confidentially, if desired) any concerns about unethical behaviour or suspicions of modern slavery. Externally, if anyone — be it a user, creator, or member of the public — has a concern that modern slavery may be connected to our platform or suppliers, we provide a channel to report it (see “Reporting” below). Fantra assures that no whistleblower will suffer retaliation or adverse treatment for speaking up in good faith.
Creator Verification and Safeguards
A key aspect of our commitment to preventing exploitation is ensuring that all content creators on Fantra are verified adults acting of their own volition:
· Identity and Age Verification: Every creator who joins the Fantra platform must undergo a rigorous identity verification process. This involves providing government-issued identification to prove they are at least 18 years old (or older if required by their local jurisdiction). We use secure third-party verification services to check IDs and ensure authenticity. By doing this, we eliminate the risk of underage individuals (who might be trafficking victims) from masquerading as adult creators. It also provides a measure of assurance that the person is a real individual in control of their own account (not, for instance, someone else’s identity being used under duress).
· Solo Control of Accounts: Each creator account on Fantra is intended to be controlled solely by the individual who verified. Account sharing or management by “studios” or third parties is against our policies. This is crucial because in some abusive situations (such as human trafficking rings or coercive “content houses”), traffickers attempt to control online accounts of victims. By disallowing account sharing and monitoring for signs of such activities, we aim to prevent traffickers from exploiting our platform. If we suspect an account is being operated by someone other than the verified individual (especially under coercion), we will suspend the account pending investigation.
· No Tolerance for Coercion: We communicate clearly to creators that if they ever feel pressured by anyone — be it a fan, another creator, or any party — to do things against their will, they should stop and contact us. Creators are not obligated to fulfil any request from Fans that they find uncomfortable or that violates our guidelines; they can refuse and even block the Fan. Fantra’s platform also does not require creators to meet quotas or perform certain content, giving creators freedom to produce only what they choose.
· Monitoring Content for Signs of Real Exploitation: Even though Fantra content is fictional, our moderation team is trained to be alert for any content or behavior that might hint at real exploitation. For example, if a creator were to attempt to post a real-life image (against our rules) or if their communications suggested they are in distress or under control, we would intervene. We also monitor for any use of language that suggests someone might be seeking an actual person for illicit purposes. Our platform is not a place for sex trafficking or prostitution, and any attempt to use it as such will be shut down.
Enforcement, Reporting and Cooperation
Fantra understands that combatting modern slavery requires vigilance and partnership with authorities:
· Enforcement: If we discover any instance or well-founded suspicion of modern slavery or trafficking in our business environment, we act decisively. Internally, if an employee or contractor was found to be complicit in such activities, disciplinary action up to termination would occur, and we would report to law enforcement. On the platform, if any user is suspected of attempting to engage in trafficking (for example, using the platform to advertise exploitative services or recruit victims), we will ban the user and preserve any relevant data to assist authorities.
· User Reporting: We provide a clear pathway for users or the public to report concerns. Anyone can contact our Fantra Compliance Team at admin@fantra.ai if they suspect any content or behavior on the platform is linked to real-world trafficking or exploitation. All such reports are taken with the utmost seriousness. Our team will promptly investigate the matter. If the report relates to a possible victim of trafficking using (or depicted on) our platform, we will coordinate with law enforcement as appropriate to ensure the person’s safety.
· Law Enforcement Cooperation: Fantra cooperates fully with law enforcement and regulatory bodies in the fight against human trafficking and slavery. If we receive an official request for information (such as to assist in locating a missing person or identifying a trafficker), and it’s legally valid, we will respond expeditiously. We maintain records (while respecting privacy laws) that could assist, such as account registration details and login metadata, in accordance with our Privacy Policy and applicable data retention rules. Fantra is also open to proactively contacting authorities if we uncover evidence of a crime (e.g., we discover a user is uploading what appears to be real exploitative imagery or is attempting to lure minors — in such cases, we will not wait for a formal request; we will initiate contact with the appropriate agency, such as the Australian Centre to Counter Child Exploitation or Interpol, depending on the situation).
· Annual Review: In line with best practices under the Modern Slavery Acts, we review this statement and our anti-slavery measures at least annually. We evaluate the effectiveness of our steps — for instance, reviewing if any reports were made, how they were handled, and what we learned. We remain committed to improving our practices. This statement is approved by Fantra’s leadership and reflects our ongoing dedication to ensuring that modern slavery or human trafficking have no place in or around Fantra.
Conclusion: Fantra’s mission is to provide a safe, creative outlet for consensual adult fantasy content. Ensuring that no one is exploited in the creation or operation of this platform is fundamental to that mission. We will continue to uphold strong anti-slavery standards, educate those involved with Fantra, and be vigilant against the ever-evolving tactics of traffickers. This commitment is not just about legal compliance, but a core value of our organisation — we believe in freedom, autonomy, and safety for all individuals.