Cross Border Data Transfer Mechanism. 11.1 To the extent that Customer’s use of the Services requires a transfer of Customer Personal Data outside the EEA or UK, and to the extent that Smartnova is a recipient of Customer Personal Data in a country that is not recognized as providing an adequate level of protection for Customer Personal Data as described in the GDPR, Smartnova and Customer ensure that such transfers are compliant with the Standard Contractual Clauses and UK Addendum as follow:
11.2 i) The parties agree that the EU Standard Contractual Clauses (Module 2) attached to this DPA in Exhibit C, will apply to Customer Personal Data that is transferred from the EEA to the Services and via the Services from the EEA, either directly or via onward transfer, to any country or recipient where Smartnova or its Sub-processors maintain data processing operations, as necessary to perform the Services not recognized by the European Commission as providing an adequate level of protection for Customer Personal Data. The parties agree that their obligations under the EU Standard Contractual Clauses (Module 2) will be carried out in accordance with the provisions of this DPA. In addition, the parties hereby agree that if the EU Standard Contractual Clauses (Module 2) set forth at Exhibit C to this DPA, will no longer be a valid basis under the decision of the European Commission for establishing adequate protections in respect of a relevant data transfer of Customer Personal Data, the parties agree to comply with an alternative transfer mechanism instead of the transfer mechanisms described in this DPA in respect of the Processing of such Customer Personal Data. In the event that any provision of the EU Standard Contractual Clauses (Module 2) is held illegal or unenforceable in a judicial proceeding, such provision shall be severed and shall be inoperative, and the remainder of the EU Standard Contractual Clauses (Module 2) and the terms of this DPA shall remain operative and binding on the parties.
11.2 ii) The parties agree that the UK Addendum will apply to Customer Personal Data that is transferred from the United Kingdom (“UK”) to the Service and via the Service from the United Kingdom (“UK”), either directly or via onward transfer, to any country or recipient outside of the UK where Smartnova maintain data processing operations, as necessary to perform the Services not recognized by the competent UK regulatory authority or governmental body for the UK as providing an adequate level of protecti...
Cross Border Data Transfer Mechanism. Customer will operate as a data Controller and Outreach will operate as a data Processor Processing Customer Personal Data only as necessary for the limited and specified purposes identified in this Addendum, the Agreement and/or any related Order Forms or Exhibits, and in accordance with at least the same level of protection as is required under the Applicable Data Protection Laws. The parties acknowledge and agree that to the extent Outreach Processes any Customer Personal Data under the Agreement, any related Order Forms or Exhibits, any such transfer will be subject to the Standard Contractual Clauses.
Cross Border Data Transfer Mechanism. Customer will operate as a data Controller and WORKetc will operate as a data Processor Processing Customer Personal Data only as necessary for the limited and specified purposes identified in this Addendum and/or the Agreement. WORKetc has certified its compliance with Privacy Shield, and WORKetc and Customer will use Privacy Shield as the adequacy mechanism supporting the transfer and Processing of Customer Personal Data.
Cross Border Data Transfer Mechanism. To the extent that Customer’s use of the Services requires an onward transfer mechanism to lawfully transfer personal data from a jurisdiction (i.e., the European Economic Area (“EEA”), the United Kingdom (“UK”), Switzerland or any other jurisdiction listed in Schedule 3) to Vercel located outside of that jurisdiction (a “Transfer Mechanism”), the terms and conditions of Schedule 3 (Cross Border Transfer Mechanisms) will apply. By: Name: By: Xx Xxxxx Name: Title: Title: Chief Information Security Officer 3/29/2023 Date: Date:
1. Nature and Purpose of the Processing. Vercel will process Personal Data as necessary to provide the Services under the Agreement. Vercel does not sell Customer Data (or end user information within such Customer Data) and does not share such end users’ information with third parties for compensation.
Cross Border Data Transfer Mechanism. To the extent that Hero’s use of the Services requires an onward transfer mechanism to lawfully transfer personal data from a jurisdiction (i.e., the European Economic Area (“EEA”), the United Kingdom (“UK”), Switzerland or any other jurisdiction listed in Schedule 3) to Kajabi located outside of that jurisdiction (a “Transfer Mechanism”), the terms and conditions of Schedule 3 (Cross Border Transfer Mechanisms) will apply.
1. Nature and Purpose of the Processing. Kajabi will process Personal Data as necessary to provide the Services under the Agreement. Kajabi does not sell Personal Data (or end user information within such Personal Data) and does not share such end users’ information with third parties for compensation or for those third parties’ own business interests.
Cross Border Data Transfer Mechanism. To the extent that Customer’s use of the Services requires an onward transfer mechanism to lawfully transfer personal data from a jurisdiction (i.e., the European Economic Area (“EEA”), the United Kingdom (“UK”), Switzerland or any other jurisdiction listed in Schedule 3) to Vercel located outside of that jurisdiction (a “Transfer Mechanism”), the terms and conditions of Schedule 3 (Cross Border Transfer Mechanisms) will apply. “Vercel” VERCEL INC. By: Name: Xxxxx Xxx Xxxxx Title: Chief Revenue Officer Date: 2021-10-05 “Customer” By: Name: Title: Date:
1. Nature and Purpose of the Processing. Vercel will process Personal Data as necessary to provide the Services under the Agreement. Vercel does not sell Customer Data (or end user information within such Customer Data) and does not share such end users’ information with third parties for compensation or for those third parties’ own business interests.
a. Customer Data. Vercel will process Customer Data as a processor in accordance with Customer’s instructions as outlined in Section 6.a (Customer Instructions) of this DPA.
Cross Border Data Transfer Mechanism