Sub-processors of Personal Data Sample Clauses

Sub-processors of Personal Data. Pioneer Software rent HOSTED SERVERS from IOMART plc and LiveDrive (UK based third-party hosting companies) for the purpose of providing the infrastructure and data storage for their software platform.
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Sub-processors of Personal Data. [In relation to specific authorisations, identify sub-processors of personal data; in relation to general authorisations, identify categories of sub-processor; in each case, specify authorised international third country (extra-EEA/UK) transfers to sub-processors as well as any appropriate safeguards that must be used]
Sub-processors of Personal Data. Sub-processors with access to Patient Data • None Suppliers handling only encrypted Patient Data but without access to that data - these are not sub-processors under GDPR but included for completeness. • SolVPS (SolVPS) • Interactive Web Solutions Ltd (iWebFTP) Sub-processors handling Customer Personal Data: • Zen Internet Ltd. Used for website and email accounts; they will have access to Customer email addresses and contact names only. Our DPA with them is • Mailchimp. Used for sending emails to Customers; they will have access to Customer email addresses and contact names only. Our DPA with them is • Drip. Used for sending emails to Customers; they will have access to Customer email addresses and contact names only. Our DPA with them is
Sub-processors of Personal Data. The following sub-processors are used by TradeIX for personal data processing, for the purposes stated below: Sub-Processor Purpose Data Location Microsoft Azure Platform Hosting Dependent on entity requirements R3 Limited Support Tickets (i.e. issues with the distributed ledger technology) Within the EEA Corda Network Foundation Support Tickets (i.e. Corda Network access issues) Ireland and the UK Okta Personal Data Storage – Names / Email Addresses Within the EEA (default) These terms were last updated on 17 June 2020 and may be periodically updated. Xxxxx Xxxx Platform DATA PROCESSING AGREEMENT
Sub-processors of Personal Data. Frama UK’s parent company Frama AG becomes a sub processor if data subject becomes a customer of Frama UK or takes out a trial. SCHEDULE 2 (MODEL CONTRACTUAL CLAUSES)  The processor must delete or return all personal data to the controller as requested at the end of the contract. An exemption applies where the data processor is required by law to retain data.  The processor must submit to audits and inspections, provide the controller with whatever information it needs and tell the controller immediately if it is asked to do something infringing the GDPR or other data protection law.  As a matter of good practice, contracts should: o State that nothing within the contract relieves the processor of its own direct responsibilities and liabilities under the GDPR o Reflect any indemnity that has been agreed In addition to the above, payroll bureaus should be aware of the statutory obligations that will be imposed upon them as data processors under the GDPR. These are:  Not to engage a sub-processor without prior written authorization of the clientTo ensure there is a contract with the sub-processor containing the same data protection obligations that are imposed on the lead processor  Only to process data in accordance with the written instructions of the client  Where a payroll bureau makes determinations about the processing of the data without the instruction of the controller, they will be considered to be a data controllerMaintain records of data processing activities in accordance with the Regulations  To co-operate with the supervisory authority  To implement appropriate security measures  Inform clients of any data breaches without undue delayIn certain circumstances designate a data protection officerComply with restrictions regarding transfers of personal data outside of the Union  To ensure certain minimum provisions are in contracts with controllers
Sub-processors of Personal Data. Entity: Amazon Web Services Entity Location: Europe (London / eu-west-2) Purpose: All data collected is being stored and processed exclusively in UK data centres, powered by Amazon Web Services (AWS)
Sub-processors of Personal Data. Any sub-processors, if they can access the Personal Data, are subject to explicit written agreements before access, which are in line with these terms.
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Related to Sub-processors of Personal Data

  • Processing of Personal Data (a) SORACOM collects and processes personal data about the Subscriber, including name, e-mail, IP-address as well as data on data uses and billing data in order to provide SORACOM’s service and other purposes such as billing.

  • Categories of Personal Data Data Controller may submit Personal Data to the Subscription Service, the extent of which is solely determined by Data Controller, and may include the following categories: • communication data (e.g. telephone, email); • business and personal contact details; and • other Personal Data submitted to the Subscription Service.

  • Types of Personal Data Contact Information, the extent of which is determined and controlled by the Customer in its sole discretion, and other Personal Data such as navigational data (including website usage information), email data, system usage data, application integration data, and other electronic data submitted, stored, sent, or received by end users via the Subscription Service.

  • Type of Personal Data Data Subjects may provide the following Shared Personal Data in connection with the purchase of a domain name from a Registrar: Registrant Name: Example Registrant Street: 0000 Xxxxxxxxx Xxx City: Marina del Rey State/Province: CA Postal Code: 90292 Country: US Phone Number: +1.0000000000 Fax Number: +1.3105551213 Email: xxxxxxxxxx@xxxxxxx.xxx Admin Contact: Xxxx Registrant Phone Number: +1.3105551214 Fax Number: +1.3105551213 Email: xxxxxxxxxxxxx@xxxxxxx-xxxxxxxxxx.xxx Technical Contact: Xxxx Geek Phone Number: +1.3105551215 Fax Number: +1.3105551216

  • Protection of Personal Data 25.1 The Parties agree that they may obtain and have access to personal data for the duration of the Agreement for the fulfilment of the rights and obligations contained herein. In performing the obligations as set out in this Agreement, the Parties shall at all times ensure that:

  • Use of Personal Data By executing this Stock Agreement, Participant acknowledges and agrees to the collection, use, processing and transfer of certain personal data, including his or her name, salary, nationality, job title, position and details of all past Awards and current Awards outstanding under the Plan (“Data”), for the purpose of managing and administering the Plan. The Participant is not obliged to consent to such collection, use, processing and transfer of personal data, but a refusal to provide such consent may affect his or her ability to participate in the Plan. The Company, or its Subsidiaries, may transfer Data among themselves or to third parties as necessary for the purpose of implementation, administration and management of the Plan. These various recipients of Data may be located elsewhere throughout the world. The Participant authorizes these various recipients of Data to receive, possess, use, retain and transfer the Data, in electronic or other form, for the purposes of implementing, administering and managing the Plan. The Participant may, at any time, review Data with respect to the Participant and require any necessary amendments to such Data. The Participant may withdraw his or her consent to use Data herein by notifying the Company in writing; however, the Participant understands that by withdrawing his or her consent to use Data, the Participant may affect his or her ability to participate in the Plan.

  • Protection of Personal Information Party agrees to comply with all applicable state and federal statutes to assure protection and security of personal information, or of any personally identifiable information (PII), including the Security Breach Notice Act, 9 V.S.A. § 2435, the Social Security Number Protection Act, 9 V.S.A. § 2440, the Document Safe Destruction Act, 9 V.S.A. § 2445 and 45 CFR 155.260. As used here, PII shall include any information, in any medium, including electronic, which can be used to distinguish or trace an individual’s identity, such as his/her name, social security number, biometric records, etc., either alone or when combined with any other personal or identifiable information that is linked or linkable to a specific person, such as date and place or birth, mother’s maiden name, etc.

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