TroubleMaker

政策与使用指南

全球玩家的语言是 TroubleMaker。

TroubleMaker 是一个全球玩家社区,大家可以用各自的语言分享游戏资讯和体验。通过实时翻译聊天,跨越语言障碍,自由交流。

自由交流,相互尊重的约定

无论国家、语言、文化和喜好有何不同,请相互尊重。若翻译生硬或含义模糊,请查看原文和语境。请针对游戏和观点进行讨论,而非攻击他人。

在同一处查看社区准则、使用条款、隐私与Cookie政策、活动积分与奖励,以及地区规则。

国家与地区规则

Supplementary rules for 25 named countries/regions, the 30 EEA countries and all other territories. This is not a completed worldwide legal review.

完整政策目前提供英文及韩文版本。需要当地语言说明的交易,须完成翻译与地区审查后才会推出。游戏付费及 Steam 奖励尚在准备中。

Last updated: · Policy version 2026-10-03-r7

Operator: Chris Kim · Support / privacy contact: alice83072@gmail.com

English · 한국어

Common principles and review status

Paid-game, activity-point item and gift-card reward launch status is pending/not launched for every entry. This list adds protections and review requirements; it is neither an eligible-country list nor national law in full. Acquiring items normally sold for money using free points requires separate assessment; in-game consumption and a free label do not replace local game, consumer, promotion or payment requirements. Residence, transaction jurisdiction and mandatory law control. Translation, IP estimates and a country selector do not verify legal eligibility. Launch notices must identify supported countries, conditions and contacts.

Cambodia · European Union / European Economic Area · United Kingdom · Switzerland · United States · Canada · Australia · New Zealand · Republic of Korea · Japan · Mainland China · Taiwan · Hong Kong · Macao · Thailand · Singapore · Malaysia · Philippines · Indonesia · Viet Nam · India · Brazil · Mexico · United Arab Emirates · Saudi Arabia · All other countries and territories

Cambodia (KH)

The operational base is Cambodia. Business/tax registration, e-commerce permit or licence applicability, consumer disclosures and reward classification must be checked before launch. Online gambling and betting are not offered. Ordinary avatar sales and free community rewards are not represented as government-approved merely because they are separated.

Official references: Cambodia — business registration and licences · Cambodia — official online gambling prohibition announcement

European Union / European Economic Area (EEA)

Mandatory consumer protections and applicable GDPR rights are preserved. A generally applicable 14-day distance-contract withdrawal right has digital-content exceptions with conditions; immediate delivery requires the legally necessary express consent and acknowledgement, not a pre-ticked box. EEA countries share common frameworks but national rules can differ. GDPR can apply to an outside-EU operator offering services to or monitoring people in the EU. The 30-country EEA coverage is listed below; no paid/reward launch is approved by this listing.

Austria, Belgium, Bulgaria, Croatia, Cyprus, Czechia, Denmark, Estonia, Finland, France, Germany, Greece, Hungary, Ireland, Italy, Latvia, Lithuania, Luxembourg, Malta, Netherlands, Poland, Portugal, Romania, Slovakia, Slovenia, Spain, Sweden, Iceland, Liechtenstein and Norway.

Official references: EU — withdrawal and digital-content exceptions · EU — territorial application of GDPR · Google — EEA, UK and Switzerland consent requirements

United Kingdom (GB)

Applicable cancellation and defective-digital-content rights remain intact. Immediate digital delivery requires appropriate agreement, acknowledgement of the 14-day cancellation consequence and contract confirmation where required. UK privacy and advertising consent requirements must be assessed separately from EU requirements.

Official references: UK — digital services and cancellation disclosures · Google — EEA, UK and Switzerland consent requirements

Switzerland (CH)

Switzerland is not treated as an EEA member or automatically assigned EU withdrawal rules. Local contract, privacy and reward rules require review. Google’s Switzerland consent-management requirements must also be considered for personalised advertising.

Official references: Google — EEA, UK and Switzerland consent requirements

United States (US)

Federal and applicable state consumer/privacy rules are preserved; a single nationwide refund, promotion or tax rule is not asserted. COPPA can apply to a foreign operator directed to children under 13 in the US or knowingly collecting their personal information. Any state-specific launch conditions must be published before transactions. No paid sweepstakes or gambling features are included.

Official references: US — FTC COPPA guidance

Canada (CA)

Applicable federal/provincial consumer and privacy rights are preserved. Meaningful consent and understandable notices must be assessed, including French-language and Québec requirements when relevant. The English version alone is not claimed to satisfy every Canadian notice or contract requirement.

Official references: Canada — meaningful consent

Australia (AU)

Where Australian Consumer Law applies, statutory consumer guarantees cannot be removed by “no refunds” wording. The ACCC explains that overseas businesses directly offering products or services in Australia must follow that law. Local privacy and promotion requirements remain subject to assessment.

Official references: Australia — overseas online businesses and consumer rights

New Zealand (NZ)

Do not assume Australian rules automatically apply. Local consumer guarantees, privacy, minors and reward conditions require separate assessment; compulsory remedies will not be waived.

Republic of Korea (KR)

Before a Korea-targeted game or paid/reward launch, review applicable game classification/distribution, e-commerce withdrawal, youth protection, privacy and international-transfer requirements. Free community activity is not to be mixed with gaming-result exchange. Korean mandatory rights are not waived by the Cambodian operation.

Official references: Korea — Game Industry Promotion Act

Japan (JP)

Review local online-sale disclosures, digital items, payment/points rules and promotion limits. A universal EU-style cooling-off right is not promised: Japan’s consumer authority distinguishes online shopping from cooling-off transactions. Contractual and compulsory remedies still apply as appropriate, and Japanese notices must be ready where required.

Official references: Japan — consumer information on cooling-off

Mainland China (CN)

Mainland China is separate from Taiwan, Hong Kong and Macao for this policy. Game publishing approval, local distribution arrangements, identity/youth controls, personal data and cross-border processing must be assessed before targeted game availability. Chinese-language news access is not an approved game or reward launch.

Official references: China — publishing approvals for imported online games

Taiwan (TW)

Review Taiwan-specific digital-content contract, consumer cancellation, personal-data, minors and reward rules. Do not apply mainland-China restrictions or approvals by language alone. Provide the necessary Traditional Chinese transaction disclosures before launch.

Hong Kong (HK)

Review local consumer, personal-data, marketing and reward requirements independently. Traditional Chinese or English availability does not establish local approval, and Taiwan/mainland-China rules are not automatically substituted.

Macao (MO)

Local promotion, gambling-boundary, privacy and digital-sale requirements need independent review. No casino or online gambling permission is claimed, and rules from Hong Kong or mainland China are not assumed to be identical.

Thailand (TH)

Before launch, review local consumer, advertising/promotion, personal-data, youth and digital-sale requirements. A Khmer or Thai interface does not constitute authorisation. Paid draws and wagering are not part of the reward programme.

Singapore (SG)

Where PDPA applies, assess notice, appropriate consent, rights and protection for international transfers. Reward and online-sale classification are separate review items. Ordinary participation does not consent to unrelated marketing.

Official references: Singapore — PDPA rights overview

Malaysia (MY)

Assess local consumer, personal-data, digital-sale, youth and promotion conditions before launch. Singaporean or Indonesian approval is not a substitute. Mandatory local rights remain protected.

Philippines (PH)

Review any applicable promotion permit, consumer, personal-data, tax and digital-service obligations before activating rewards or purchases. Free participation is not asserted to exempt every promotion. Filipino/English disclosures must accurately identify the operator and offer.

Indonesia (ID)

Review electronic-system/service registration applicability, local consumer and personal-data requirements, minors and reward conditions. Any required Indonesian-language disclosures must be complete before transactions; translated news alone is not sufficient.

Viet Nam (VN)

Online game provision can involve specific local enterprise, licensing, release and player-account requirements under official guidance. Targeted game availability, payments and rewards remain pending until classification and local requirements are assessed. Vietnamese news translation is not a substitute for game authorisation.

Official references: Viet Nam — official online game provision guidance

India (IN)

Review current online-gaming legislation, implementing rules and legal classification, including treatment of paid social games, cosmetics and money-game boundaries. Neither skill nor a gift-card label is assumed to provide an exemption. Paid gaming balances and results stay separate from free community rewards; no launch approval is claimed.

Official references: India — online gaming legislation and corrigenda

Brazil (BR)

Review applicable consumer, personal-data, promotion, tax and international-transfer requirements. Portuguese notices must be supplied where required before a transaction launch; Spanish or English is not automatically an adequate substitute.

Mexico (MX)

Review local consumer, privacy-notice, promotion and tax requirements. Any transaction must clearly disclose the operator, total charges, delivery and remedies in the required language. An approved offer in Spain does not approve Mexico.

United Arab Emirates (AE)

Assess federal and any relevant emirate/free-zone requirements for consumer protection, personal data, games and promotional rewards. No wagering or prize-gaming permission is implied. Required Arabic or other local disclosures must precede launch.

Saudi Arabia (SA)

Review local digital-commerce, personal-data, content, youth and reward restrictions independently. Arabic availability is not authorisation. Game purchases and community rewards will not be enabled on the basis of a policy disclaimer alone.

All other countries and territories (OTHER)

The same common policies and non-waivable local rights apply. Absence from this list is not approval or denial of a legal right. Paid games and Steam rewards remain unlaunched until the country is explicitly included in a reviewed offer. Sanctions, provider availability, currency, licences and local-language requirements must be assessed; the user is not made solely responsible for the operator’s compliance.

Advertising and privacy requirements remain separate

Review Google’s certified-CMP requirements for personalised ads in the EEA, UK and Switzerland. Google certification does not certify full privacy-law compliance. This operator policy does not link ad viewing/clicking to gift-card payouts in any country. Reward classification, privacy, tax and paid-game obligations are separate review items.

Official references: Google — EEA, UK and Switzerland consent requirements · Google — advertising programme policies · Google — rewarded advertising requirements

References checked: 2026-10-03. Supplementary rules are operator policies, not country-specific legal approvals. Review and update them for legal changes and actual features.

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