---
title: "Transparency Report: Notices & Requests | OffshoreServ"
description: "Counts of DMCA notices, court orders, DSA notices and government requests, how we count them, published every quarter since Q3 2026."
url: https://offshoreserv.com/transparency-report
lang: en
updated: 2026-09-27
source: HTML page at the url above (canonical); this is its Markdown version
---

Legal & privacy

# Transparency Report

Why we publish counts of complaints, court orders, and government requests, how we count them, and our quarterly cadence starting with Q3 2026 at launch.

Updated 25 September 2026 2 min read All services, all 7 jurisdictions

Key points

- We publish how many complaints, orders, and government requests we receive, and what we did.
- The report contains counts only, never customer data.
- We explain what counts as a request or notice and how we categorize each one.
- Reports come out quarterly, within 15 days of the end of each quarter.
- The first report covers Q3 2026, from our launch on 25 September 2026.

Version 1.0[How support works](https://offshoreserv.com/contact)

Q3 2026

25 Sep – 30 Sep 2026

Running count · Due by 15 Oct 2026

| Category | Received | Actioned |
| --- | --- | --- |
| US DMCA notices | 0 | 0 |
| Other foreign copyright notices | 0 | 0 |
| Local court orders | 0 | 0 |
| EU DSA notices (EU locations) | 0 | 0 |
| Law-enforcement data requests | 0 | 0 |
| Emergency requests | 0 | 0 |
| Abuse reports: CSAM | 0 | 0 |
| Abuse reports: malware & botnets | 0 | 0 |
| Abuse reports: spam & phishing | 0 | 0 |
| Abuse reports: attacks from our network | 0 | 0 |
| Abuse reports: fraud | 0 | 0 |

This is our transparency report. It records how many complaints, legal orders, and government requests OffshoreServ receives, and what we do in response. We publish it because customers deserve to see, in numbers, how often anyone tries to reach their data and how we act when they do. The figures for each period are shown above this explanation.

## 1. Purpose

The report has two goals. First, accountability: it lets anyone see the volume and type of pressure placed on customer data, and how much of it results in any action. Second, honesty about our model: because we hold very little data and do not enforce foreign notices, the Actioned column should show that most requests lead to no removal and no disclosure. Publishing the numbers keeps us to that standard and lets you check it rather than take our word for it.

## 2. Methodology

We aim to count consistently so figures can be compared across quarters.

### 2.1 What counts as a request or notice

We count each distinct matter we receive that asks us to remove content, restrict a service, disclose data, or preserve records. A single matter is counted once even if it arrives more than once or through more than one channel. Routine support messages and obvious spam are not counted. Duplicate or automated resubmissions of the same complaint are counted as one matter.

### 2.2 Categories

We sort matters into categories such as:

- **Copyright and other foreign notices**, including US DMCA notices, which are logged and answered but not enforced;
- **EU Digital Services Act notices** for our EU locations;
- **Local court orders** from the jurisdiction where the server runs;
- **Law-enforcement and government requests**, including emergency and preservation requests;
- **Abuse reports** handled under our Acceptable Use Policy, including zero-tolerance matters.

For each category we show how many we received and how many were actioned, meaning content removed, data disclosed or a service suspended. Full definitions of how we handle each type are in our [DMCA & Complaints Policy](https://offshoreserv.com/dmca-policy) and [law-enforcement guidelines](https://offshoreserv.com/law-enforcement).

### 2.3 No customer data

The report contains counts only. It never names a customer, a service, an IP address, or the substance of any specific matter. Where the law forbids us from disclosing that a particular kind of request exists at all, the warrant canary, not this report, is the appropriate signal.

## 3. Reporting cadence

We publish quarterly, **within 15 days of the end of each quarter**. Each report covers the three months of that quarter. Figures are final as published; if a later correction is needed, we note it in the following report.

## 4. First reporting period

OffshoreServ launched on **25 September 2026**. Our first reporting period is therefore **Q3 2026**, running from launch on 25 September 2026 to the end of the quarter. Because it begins only days before the quarter closes, the first period is short by design; the counts for later quarters will cover a full three months. The Q3 2026 report is published within 15 days of the quarter's end.

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---

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