Reporting Period
This report covers the period from 1 January 2026 to 30 April 2026 (the "Reporting Period"), during which img.pro began publishing user-uploaded content to public viewer URLs. Subsequent reports will be published annually and will cover the preceding calendar year.
Moshi Inc. currently qualifies as a small enterprise within the meaning of Article 15(2) of the Digital Services Act (fewer than 50 staff and annual turnover below €10 million); accordingly we publish at the annual cadence permitted for small enterprises rather than the bi-annual cadence applicable to larger providers.
Average Monthly Active Recipients (Art. 24(2))
Across the Reporting Period, the average number of monthly active recipients of the Service in the European Union was below the 45 million threshold that distinguishes a Very Large Online Platform under Article 33 of the DSA. Specifically, fewer than 100,000 distinct EU recipients accessed the Service per month in this period, placing the Service well within the small-platform tier.
We will continue to compute and publish this figure every six months as required by Article 24(2). Once the figure approaches 1 million monthly EU recipients, we will engage with the Commission and the relevant Digital Services Coordinator about additional reporting and structural obligations.
Notices Under the Notice-and-Action Mechanism (Art. 16)
img.pro accepts notices of illegal content via the public /report form, which forwards to a dedicated moderation queue. The form requests the elements specified in Article 16(2) (statement of reasons, location of the content, identification of the notifier, and a good-faith statement).
- Total notices received during the Reporting Period: 0
- Notices submitted by trusted flaggers (Art. 22): 0 (no entities have been awarded trusted-flagger status by the relevant Digital Services Coordinator and contacted us during the Reporting Period)
- Notices that resulted in content being removed, restricted, or otherwise actioned: 0
- Notices acted upon on the basis of a legal obligation: 0
- Notices acted upon on the basis of our Terms of Service: 0
- Notices processed exclusively by automated means: 0
- Median time to take action upon a notice: not applicable
Separately, copyright takedown notices submitted under the U.S. Digital Millennium Copyright Act (DMCA) are recorded against our DMCA agent contact (registered identifier DMCA-1072305) and are not duplicated here. The DMCA process is described at /dmca.
Own-Initiative Content Moderation (Art. 15(1)(c))
Beyond responses to authority orders and user notices, img.pro performs proactive content moderation as part of normal operation of the Service. The principal categories during the Reporting Period were:
- Adult-content classification — every uploaded image is processed by Amazon Rekognition's content-moderation classifier at upload time. Images classified as explicit nudity or sexual activity are flagged and not surfaced on public-facing discovery surfaces; the underlying upload remains accessible to its owner. This is fully automated. During the Reporting Period: classification was applied to 100% of uploaded images.
- Account-level enforcement — accounts that accrue repeated DMCA strikes are subject to the repeat-infringer policy disclosed at /dmca. During the Reporting Period: 0 accounts were terminated under this policy and 0 were temporarily suspended.
- Removal of illegal content discovered without an external notice — content removed by Moshi Inc. on its own initiative on the basis of suspected illegality during the Reporting Period: 0.
Content-safety classifications and account-enforcement actions are written to the pulse_audit_log in our moderation database. Operators reviewing flagged content are required to record a reason and the audit entry is immutable.
Use of Automated Tools (Art. 15(1)(e))
img.pro uses automated content-moderation tooling for the limited purposes described below. We do not use automated decision-making to terminate accounts or to permanently remove content; automated outputs are advisory and are followed by human review where the consequence is anything more severe than viewer-side blurring or the application of a reduced retention window.
- Tool: Amazon Rekognition Image Moderation (a third-party machine-learning classifier).
- Purpose: Detection of explicit nudity, sexual activity, and graphic violence in uploaded images, to determine whether the image is safe for public discovery surfaces and which retention window applies under our Retention policy.
- Possible automated consequences: Viewer-side blurring of the image; application of a reduced retention window to the image; routing to operator review for any consequence beyond those (including account-level action). The specific signals, label sets, and confidence thresholds used to determine the classification are not published in order to prevent circumvention; the categories considered are described in the Acceptable Use Policy at /terms#acceptable-use.
- Indicators of accuracy: Vendor accuracy claims are documented in AWS's published model card. We do not currently maintain a published internal accuracy benchmark; once volumes warrant it, we will publish our own precision/recall measurements alongside this report.
- Possible error rate: False positives (safe images flagged or subject to a reduced retention window) are mitigated by operator review and by the internal complaint mechanism described below. False negatives (explicit images that pass classification) are caught at the user-notice stage via /report or by trusted flagger referrals.
- Safeguards: No account is terminated or permanently restricted on the basis of an automated output alone. Operators reviewing flagged items are recorded in the audit log. Users whose content is restricted or subject to a reduced retention window receive a statement of reasons and may appeal via the internal complaint mechanism (Art. 20) described below.
Internal Complaints (Art. 20)
Recipients of the Service whose content has been restricted, subject to a reduced retention window, removed, or whose account has been suspended or terminated may file a complaint by replying to the moderation decision email or by writing to report@img.pro. We aim to acknowledge complaints within three business days and decide them within fourteen days.
- Complaints received during the Reporting Period: 0
- Complaints upheld (original decision reversed): 0
- Complaints rejected (original decision confirmed): 0
- Median time to decide complaints: not applicable
- Use of automated means to handle complaints: none — complaints are reviewed by a human operator.
Out-of-Court Dispute Settlement (Art. 21)
Recipients in the European Union may submit unresolved disputes to a certified out-of-court dispute settlement body under Article 21 of the DSA. As of the publication of this report, no certified bodies relevant to the categories of decision we make have been appointed in jurisdictions where we operate; we will update this section once the relevant Digital Services Coordinators publish their lists.
- Disputes referred to out-of-court settlement during the Reporting Period: 0
- Decisions upheld in our favour: not applicable
- Decisions decided against us: not applicable
- Median time to comply with the decision of the dispute-settlement body: not applicable
Machine-Readable Format
Article 15(3) of the DSA contemplates publication in a machine-readable format. The figures above are stable text within this page; we will publish a structured (JSON) version of subsequent reports once the European Commission publishes its harmonised template under Article 15(4). In the interim, the headings and identifiers in this report follow the labels used in Article 15(1)(a)–(e) so that the report can be parsed by section.
Methodology
The figures in this report are drawn from:
- pulse_audit_log — the internal moderation audit table, which records every operator-initiated action (visibility change, account suspension, takedown response).
- MODERATION_DB — the public /report form persists notices into a moderation queue; queue counts and latencies feed the notices section above.
- D1 user/team databases — for figures relating to account terminations and EU recipient counts.
Moshi Inc. takes responsibility for the accuracy of this report. Questions, corrections, and requests for further detail can be sent to legal@img.pro.