Connected Sex Toys & Teledildonics

Kiiroo

Kiiroo is an Amsterdam-based sextech company that's been building connected sex toys since 2013. The product lineup centers on teledildonics: devices that sync over the internet so partners can feel…

Founded 2013 · 13 years on market

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About Kiiroo

Kiiroo is an Amsterdam-based sextech company that’s been building connected sex toys since 2013. The product lineup centers on teledildonics: devices that sync over the internet so partners can feel each other’s interactions in real time, regardless of distance. The flagship is the Keon masturbator, which has gone through several iterations — the Keon 2 landed at $239 with Wi-Fi syncing and a speed-focused “finisher mode” — alongside vibrators, a compact $79 PowerShot stroker that attaches to the Keon, and the Spot wearable vibrator built for cam performers who want tip-activated vibration and light shows. They’ve also moved into sex machines with the PleasureDrive, a tip-activated rival to Lovense’s offerings. Beyond hardware, Kiiroo runs the FeelConnect ecosystem, which lets devices sync with interactive content and partner apps. Their toys have also picked up third-party integrations — RPG sex games like Wild Life now support scene-aware haptics with Kiiroo hardware. The connected toy space is getting more crowded, and Lovense remains the dominant competitor, but Kiiroo has consistently carved out ground in the interactive content and long-distance

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Active coverageFirst covered
87 articles 2016–2026 Peak: 2025 (13)

Kiiroo

64%
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Privacy deep-dive

In summary

In our assessment, Kiiroo's reviewed policy text provides a structurally competent framework covering standard e-commerce data practices, GDPR/CCPA rights, and concrete retention periods, but the policy appears notably silent on device-level telemetry, app interaction data, and adult-content-specific privacy protections that we would expect from a connected intimate hardware brand. As of the date of our review, the absence of discreet billing disclosures, usage data handling, and self-service data controls represents a meaningful gap relative to the sensitivity of the product category. Unverified

  • No data sales stated; opt-out function referenced in Section 11
  • Concrete retention periods specified: 7 years (transactions), 2 years (customer service), warranty duration +1 year
  • GDPR rights described: access, correction, deletion, portability, objection, consent withdrawal
  • CCPA/CPRA rights referenced: know, delete, correct, opt-out, limit sensitive data use
  • Standard Contractual Clauses cited as EEA transfer safeguard

Our editorial assessment of Kiiroo’s published policy — an opinion based on the policy text we reviewed, not legal advice or a compliance determination. Spot something wrong? Request a correction

Privacy Concerns

  • High Policy appears entirely silent on device-level usage telemetry or app interaction data, which is significant for a connected hardware brand with app sync features.
  • High No discreet billing descriptor, packaging privacy, or anonymity/pseudonymity disclosures found in the reviewed text — a notable omission for an adult product brand.
  • Medium Third-party data recipients are described only by category with no named vendors, limiting transparency for a brand sharing data with marketing and analytics providers.
  • Medium Dispute resolution is restricted exclusively to Amsterdam courts under Dutch law with no consumer mediation pathway, which may be burdensome for non-EU consumers.
  • Medium Complaint window for physical goods defects is 48 hours, which appears very short and may conflict with consumer protection rights in some jurisdictions despite Article 4A carve-out.

Privacy Positives

  • High Impact Explicit no-data-sales statement with a referenced opt-out function provides a clear CCPA policy-text signal.
  • High Impact Article 4A explicitly preserves mandatory statutory consumer rights and supersedes conflicting general terms, which is a meaningful consumer-protective provision.
  • Medium Impact Concrete, category-specific retention periods (7 years, 2 years, 1 year post-warranty) reduce ambiguity compared to vague 'as long as necessary' language common in the industry.
  • Medium Impact DPO contact information includes name, dedicated email, and full physical address — more complete than many comparable policies.
  • Medium Impact SMS marketing terms explicitly state consent is not a condition of purchase and provide clear STOP opt-out instructions.

Security Overview

71% Security

Security Headers

HTTPS Secure connection
Pass
HSTS HTTP Strict Transport Security
Fail
CSP Content Security Policy
Fail
X-Frame-Options Clickjacking protection
Pass
X-Content-Type MIME type sniffing protection
Pass
Referrer-Policy Controls referrer information
Pass
Permissions-Policy Browser feature controls
Pass

From Their Privacy Policy

Direct excerpts from Kiiroo's published privacy policyVerified July 2, 2026

We do not sell your personal data. However, we share it with the following parties where necessary

Core data-sharing stance; relevant to CCPA opt-out of sale signals

Transaction Data: Retained for up to 7 years to comply with tax, accounting, and legal requirements. Customer Service Communications: Retained for 2 years after the resolution of the inquiry. Marketing Data: Retained until you opt out or withdraw your consent.

Specific retention schedule — notably detailed relative to industry norms

Where the Customer is a Consumer, this Article prevails over any conflicting provision of these General Terms and Conditions. Mandatory rights. Nothing in these General Terms and Conditions limits, excludes, or affects any mandatory statutory rights a Consumer has under Dutch law, the law of the Consumer's country of residence in the EU/EEA, or, for customers in the United Kingdom, applicable UK consumer law.

Consumer-protective Article 4A carve-out in Terms of Service

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