Data Processing Details. If not otherwise specified in the Agreement, upon the request of Qualcomm, the following information will be added as an addendum to the Agreement (collectively, the “Data Processing Details”): - Types of Personal Information to be Processed; - Categories of Data Subjects (e.g., employees, contractors, consultants, temp workers, customers, users of Qualcomm’s products or services, etc.); - Country location(s) of Data Subjects; - Country location(s) where the Personal Information will be Processed (e.g., collected, used, transferred, etc.) or stored, including any sub-processors identified hereunder; - Description of the Processing activities and purposes of the Processing; - List of sub-processors (e.g., service providers) used by Supplier in providing the services under the Agreement; - Additional information specific for cross-border data transfer of EEA, Switzerland and the United Kingdom Supplier shall provide the following information as required by the EU Model Clauses (defined in Section IV hereunder) legitimizing the cross-border transfer of Personal Information of residents of EEA, Switzerland and the United Kingdom. (i) For the ANNEX I/A of the APPENDIX of the EU Model Clauses: if and to the extent applicable, the Data Protection Officer of Supplier: [name, position and contact details]. (ii) For the ANNEX I/B of the APPENDIX of the EU Model Clauses: the information set forth above, plus the following information: If Sensitive Personal Information is transferred, (a) the categories of Sensitive Personal Information, (b) any additional restrictions, security measures or safeguards to protect it (if any), and (c) restrictions for onward transfers (if any). The frequency of the transfer (e.g., whether the Personal Information is transferred on a one-off or continuous basis); Purpose(s) of the data transfer and further Processing; The period for which the Personal Information will be retained, or, if that is not possible, the criteria used to determine that period. (iii) For the ▇▇▇▇▇ ▇▇▇ of the APPENDIX of the EU Model Clauses: where applicable, for sub-processors listed above, below lists their address, contact person’s name/position/contact details, and the description of processing (including a clear delimitation of responsibilities in case several sub- processors are authorized).
Appears in 1 contract
Sources: Data Processing Agreement
Data Processing Details. If not otherwise specified in the Agreement, upon the request of Qualcomm, the following information will be added as an addendum to the Agreement (collectively, the “Data Processing Details”): - Types of Personal Information to be Processed; - Categories of Data Subjects (e.g., employees, contractors, consultants, temp workers, customers, users of Qualcomm’s products or services, etc.); . - Country location(s) of Data Subjects; . - Country location(s) where the Personal Information will be Processed (e.g., collected, used, transferred, etc.) or stored, including any sub-processors identified hereunder; - Description of the Processing activities and purposes of the Processing; - List of sub-processors (e.g., service providers) used by Supplier in providing the services under the Agreement; . - Additional information specific for cross-border data transfer of EEA, Switzerland and the United Kingdom Supplier shall provide the following information as required by the EU Model Clauses (defined in Section IV hereunder) legitimizing the cross-border transfer of Personal Information of residents of EEA, Switzerland and the United Kingdom.
(i) For the ANNEX I/A of the APPENDIX of the EU Model Clauses: if and to the extent applicable, the Data Protection Officer of Supplier: [name, position and contact details].
(ii) For the ANNEX I/B of the APPENDIX of the EU Model Clauses: the information set forth above, plus the following information: If Sensitive Personal Information is transferred,
(a) the categories of Sensitive Personal Information,
(b) any additional restrictions, security measures or safeguards to protect it (if any), and
(c) restrictions for onward transfers (if any). The frequency of the transfer (e.g., whether the Personal Information is transferred on a one-off or continuous basis); . Purpose(s) of the data transfer and further Processing; . The period for which the Personal Information will be retained, or, if that is not possible, the criteria used to determine that period.
(iii) For the ▇▇▇▇▇ ▇▇▇ of the APPENDIX of the EU Model Clauses: where applicable, for sub-processors listed above, below lists their address, contact person’s name/position/contact details, and the description of processing (including a clear delimitation of responsibilities in case several sub- processors are authorized).
Appears in 1 contract
Sources: Data Processing Agreement