redalertry.net
Politika kolačića
Kolačići, lokalna pohrana i upravljanje privolom.
Last updated: 24. 09. 2026.
This Cookie Policy explains how redalertry.net uses cookies and similar browser technologies on https://2007.neurogena.net. It is written for readers who visit an editorial website and want a clear explanation of what is stored on their device, why it is stored, and how they can control their choice. This policy applies to the consent manager presented on the site, including its Croatian-language control labelled POSTAVKE KOLAČIĆA.
The site does not currently use advertising integrations or analytics integrations. No optional scripts are activated before a visitor gives the relevant permission through the consent manager. The only technology specifically identified in this policy is the first-party browser localStorage entry red-cookie-consent-v2, which records the visitor’s cookie-consent choice.
What cookies and similar technologies are
Cookies are small text files that a website may ask a browser to store. Similar technologies can include browser localStorage, session storage, pixels, script-based identifiers, and other mechanisms that read or write information in a browser or device. These technologies can help a website remember a setting, maintain a technical function, measure how pages perform, or tailor content where that is permitted.
Depending on the technology and configuration, stored or accessed information may include a preference choice, a language setting, a technical identifier, browser or device characteristics, page interaction information, or information associated with a visit. Not every technology collects every type of information. redalertry.net does not state that it collects information that is not described in this policy.
Why this site uses browser storage
redalertry.net uses the identified storage entry to remember the choice made in the cookie-consent manager. Remembering that choice prevents the site from repeatedly asking for the same decision during later visits unless the visitor changes the choice or clears browser storage. It also allows the site to apply the decision about optional categories before such technologies are allowed to run.
This purpose is limited to consent preference management. The current configuration does not use the consent record for advertising, audience profiling, analytics reporting, social-media targeting, or cross-site tracking.
Categories shown in the consent manager
The consent manager displays the following categories so that visitors can understand the site’s current position and make a granular choice if optional technologies are introduced in the future.
- Necessary: technology needed to remember and apply the visitor’s consent choice. This category is active because the consent manager needs a record of the decision to operate as intended.
- Functional: technology that may support optional site features or remembered preferences beyond what is strictly necessary. This category is currently inactive. No functional technology is activated unless it is later added and the required consent has been obtained.
- Analytics: technology that may help understand page use, site performance, or aggregated visitor interaction. This category is currently inactive. No analytics integration or analytics script runs unless technology is later added and the required consent has been obtained.
The categories are not an indication that inactive technology is presently operating. They are choices displayed by the manager so that any future optional use can be controlled before activation.
Advertising, targeting, and social-media technologies
redalertry.net does not currently use advertising or targeting integrations. It does not currently use social-media tracking technologies through the consent manager. Accordingly, no advertising, targeting, or social-media category is active on the basis of this policy, and no provider is identified for those purposes.
If the site later considers adding an optional advertising, targeting, or social-media technology, it should be assessed before deployment and should not be activated before the applicable permission requirements have been met. This policy does not treat a possible future feature as a current practice.
First-party and third-party technologies
A first-party cookie or storage item is set or accessed by the website a visitor is viewing. A third-party technology is associated with another organisation or domain and can be used, for example, when an external analytics, advertising, video, or social-media service is embedded.
The storage item documented below is first-party browser localStorage used by redalertry.net. No third-party cookie provider, analytics provider, advertising provider, or social-media provider is identified in the current site configuration. The absence of a listed third party means that this policy does not claim that a third party receives browser-storage data through the identified consent mechanism.
Necessary storage currently used
The following table contains only the technology supported by the current site brief. Browser localStorage is similar to a cookie in that it can preserve a setting in a browser, but it is not itself a conventional HTTP cookie.
| Item | Type and party | Category | Information handled | Purpose | Persistence |
|---|---|---|---|---|---|
| red-cookie-consent-v2 | Browser localStorage; first party | Necessary | The visitor’s cookie-consent choice | To remember and apply the visitor’s choice in the consent manager | Remains in browser storage until the visitor clears browser storage or changes the recorded choice |
No separate cookie table is included for functional, analytics, advertising, targeting, or social-media technologies because no cookies, providers, or retention periods for those purposes are supported by the current information. Listing hypothetical providers or durations would be misleading.
Session storage, persistent storage, and retention
Session technologies normally expire when a browser session ends. Persistent technologies remain available after a session until their configured expiry, replacement, or removal. The identified consent record is persistent browser localStorage: it remains until the visitor clears browser storage or changes the preference. No fixed numerical retention period is stated because none has been provided for this entry.
Visitors can remove localStorage through browser settings. Doing so may cause the consent manager to ask for a new choice during a later visit, because the prior decision can no longer be read. Clearing storage does not itself activate optional technologies; those remain subject to the current consent setting when the manager is shown again.
Consent, necessary storage, and applicable rules
Rules on storing or accessing information on a device vary by visitor location. For readers in the European Union or European Economic Area, cookie and similar-technology requirements generally operate alongside the GDPR and national rules implementing the ePrivacy framework, including rules applicable in Croatia. Under those rules, non-essential storage or access generally requires prior, informed, freely given consent.
The necessary consent-preference storage is used because it is required to record and respect a visitor’s decision in the consent mechanism requested by the visitor. Where an exemption for strictly necessary storage applies, the site relies on that exemption for this limited function rather than treating it as an optional analytics or marketing activity. Functional and analytics categories remain inactive unless the relevant technology is added and the required opt-in consent is obtained.
This explanation describes the site’s approach to consent controls. It is not a statement that any legal outcome is guaranteed in every jurisdiction or for every future technical change.
How the consent manager works
When the consent manager is displayed, visitors can choose Accept or Reject for optional categories using equally available controls. Rejecting optional categories does not prevent access to ordinary editorial content on that basis. The manager also provides a Customize option, allowing a visitor to review categories individually and use Save to store the selected settings.
No optional scripts run before the relevant permission is given. Accepting necessary storage does not mean that inactive functional or analytics technologies begin operating. Those categories remain inactive unless technology is later introduced and the visitor has provided the required permission through the available controls.
A persistent POSTAVKE KOLAČIĆA button makes it possible to reopen the settings after an initial decision. Visitors can use it to withdraw consent, reject optional categories, or revise granular choices. Withdrawing consent is intended to be as easy as accepting it. A revised selection replaces the previously stored consent preference in the browser.
Browser controls and practical consequences
In addition to the site controls, visitors can manage cookies and localStorage in their browser settings. Browsers commonly allow people to delete stored data, block some storage, limit storage to a session, or use private browsing modes. The exact controls differ by browser and device.
If a visitor blocks or clears browser storage, the site may be unable to remember the cookie-consent selection. In that situation, the consent manager may appear again and the visitor may need to set preferences again. Blocking necessary browser storage can affect the operation of preference management. Because functional and analytics categories are currently inactive, rejecting them does not remove a currently active optional feature or measurement tool.
International transfers and privacy information
The necessary localStorage entry described here is stored in the visitor’s browser for the consent-preference purpose. This policy does not identify a third-party provider or an international transfer connected with that entry. If future optional technology involves processing by another organisation or a transfer of personal data outside a visitor’s jurisdiction, the relevant information should be assessed and described before that technology is enabled.
For broader information about personal-data handling, readers should consult the site’s Privacy Policy / Politika privatnosti. That document addresses privacy matters beyond the limited browser-storage practice described on this page. This Cookie Policy does not add undisclosed data flows or providers to the site’s actual practices.
Changes to this policy and contact
redalertry.net may update this policy when the consent manager, browser-storage practices, or applicable requirements change. A change that introduces an optional category, a provider, or a new purpose should be reflected clearly before or when that change is put into operation. The date at the beginning of this page shows when this policy was last updated.
Questions about this Cookie Policy or the operation of the cookie settings can be sent to [email protected]. When contacting the site, please avoid including unnecessary sensitive information in an email.