Personal data to be processed Clause Samples
The 'Personal data to be processed' clause defines which specific types of personal data will be collected, used, or handled under the agreement. It typically lists categories such as names, contact details, identification numbers, or other information that can identify an individual, and may specify the purposes for which this data is processed. By clearly outlining the scope of personal data involved, this clause ensures transparency and compliance with data protection laws, helping both parties understand their responsibilities and reducing the risk of unauthorized or unintended data processing.
Personal data to be processed. The following classes of personal data may be processed under this joint data controller agreement: • personal details of the aggrieved/person affected (PA) • personal details of any representative making the complaint on behalf of the PA • family details of the PA • personal details of other people involved in the case • lifestyle and social circumstances • goods and services • financial details • employment and education details • details of complaints, incidents and grievances • visual images, personal appearance and behaviour • responses to surveys We also process special categories of personal data, and other sensitive classes of information that may include: • physical or mental health details • racial or ethnic origin • religious or other beliefs • political opinions, sexual life • trade union membership offences (including alleged offences) • criminal and legal proceedings, outcomes and sentences
Personal data to be processed. The Company may only enter the personal details which A New Spring indicates by means of the Web Application and/or which are agreed separately. Company can freely choose the categories of data subjects and personal data and the associated forms of processing from within the Web Application. Parties therefore accept that a separate annex with this information is not useful. The Company will never enter special personal details (for example medical records, religious affiliation, criminal record, sexual preference, union membership, etc) or citizen service numbers in the Web Application or allow its users to do so without specific consent from A New Spring. Company recognizes that the A New Spring security measures are not focused on the processing of special personal data or citizen service numbers and does not need A New Spring to do so. By allowing the entry of personal data, the Company guarantees that it has permission or has other legal grounds for the processing via the A New Spring Platform. A New Spring cannot be held responsible for claims based on a breach of this warranty.
Personal data to be processed. 2.1. Account creation, account details and related information (first and last name, personal identification code, email address, phone number, hardware, role, subjects, study groups, user institution and class, invitation from another user + inviter details, service usage time, and the user’s IP address).
2.2. Stuudium key, social media key on Facebook and Google, E-kool account key, user name, and email address, HarID account key, user name, email address, personal identification code.
Personal data to be processed. The Data Processor will Process Personal Data related to individuals ("Data Subjects”) as described in Section 1 (Personal Data in BizView365) of Bizview365 Privacy Policy. Data Controller may after the written approval from the Data Processor submit Uncontrolled Personal Data to the Service which may include, but is not limited to the Data Controller’s contacts, employees, contractors, collaborators, customers, prospects, suppliers and subcontractors. Personal Data will be Processed for purposes of providing the Services set out, as further instructed by Data Controller in its use of the Services, and otherwise agreed to in this DPA.
Personal data to be processed. 2.1. Account creation, account details and related information (first and last name, personal identification code, email address, phone number, hardware, role, subjects, study groups, user institution and class, invitation from another user + inviter details, service usage time, and the user’s IP address).
2.2. Stuudium key, social media key on Facebook and Google, E-kool account key, user name, and email address, HarID account key, user name, email address, personal identification code.
2.3. Licence in OPIQ.
2.4. User logs in OPIQ.
2.5. User-added study material (file, text), answers to tasks solved in the study material, notes and comments added to the study material.
2.6. Information about the student’s performance (student’s answers to the task, automatically checked feedback, teacher feedback in the form of corrections, grades, or other form).
2.7. Created/modified records.
2.8. Information about the finished study material, tasks, and bookmarks in the study material.
2.9. First and last name, email address, place of work (publisher) of the CMS (content management system) author, editor, etc. with whom OPIQ has a contractual relationship.
2.10. Accounting data (invoices paid by private user by name, term of license). When using a payment service, the user’s bank account number.
2.11. Usage records, e.g. browsing history, usage history of interactive components.
Personal data to be processed. Klippa undertakes to Process the Personal Data, Processed in the context of the performance of the Agreement, on the terms and conditions of this DPA. The nature and the Purpose of the Processing, as well as the type of Personal Data and categories of Data Subjects processed by Klippa on behalf of Licensee, is set out in the Agreement, in the absence of which the processing is limited to those activities strictly necessary for the performance of the Agreement. Notwithstanding the aforementioned, Klippa is allowed to process the Personal Data to the extent that Klippa is required to do so by either Union or member state law to which Klippa is subject. In such a case, Klippa shall inform Licensee of that legal requirement before processing, unless that law prohibits providing such information on important grounds of public interest
Personal data to be processed. The Company may only enter the personal details which A New Spring indicates by means of the Web Application and/or which are agreed separately. Personal data that is processed by A New Spring in any case are the minimum data to create an account, these are name and email address. Company can freely choose the categories of data subjects and additional personal data and the associated forms of processing from within the Web Application. Parties therefore accept that a separate annex with this information is not useful. The Company will never enter special personal details (for example medical records, religious affiliation, criminal record, sexual preference, union membership, etc) or citizen service numbers and passport numbers in the Web Application or allow its users to do so without specific consent from A New Spring. Company recognizes that the A New Spring security measures are not focused on the processing of special personal data or citizen service numbers and passport numbers and does not need A New Spring to do so. By allowing the entry of personal data, the Company guarantees that it has permission or has other legal grounds for the processing via the A New Spring Platform. A New Spring cannot be held responsible for claims based on a breach of this warranty.
Personal data to be processed. 2.1 The Data Controller agrees to provide the Data Processor with the relevant data required for ‘the Purpose and Nature’ of this Agreement.
2.2 The information to be provided will relate to the following categories of data Subjects: • Occupants • Applicants
2.3 The personal data to be processed about the aforementioned categories of data subjects will include: • Name and Contact details • Finance details • Warning Flags • Data about Sexual Orientation • Risk History Information • Capacity assessment information • Previous addresses • Previous legal action details • Safeguarding details
2.4 The data transferred to the Data Processor under the Agreement at no time becomes the property of the Data Processor
Personal data to be processed. The following classes of personal data may be processed under this joint data controller agreement: personal details of the aggrieved/person affected (PA) personal details of any representative making the complaint on behalf of the PA family details of the PA personal details of other people involved in the case lifestyle and social circumstances goods and services financial details employment and education details details of complaints, incidents and grievances visual images, personal appearance and behaviour responses to surveys We also process sensitive classes of information that may include: physical or mental health details racial or ethnic origin religious or other beliefs political opinions, sexual life trade union membership offences (including alleged offences) criminal and legal proceedings, outcomes and sentences
