Processor and Controller Roles and Responsibilities. Customer and Publisher agree that Customer is the controller of Personal Data and Publisher is the processor of such data, except when (a) Customer acts as a processor of Personal Data, in which case Publisher is a subprocessor or (b) stated otherwise in any Offering-specific terms. Publisher will process Personal Data only on documented instructions from Customer. In any instance where the GDPR applies and Customer is a processor, Customer warrants to Publisher that Customer’s instructions, including appointment of Processor as a processor or subprocessor, have been authorized by the relevant controller.
Processor and Controller Roles and Responsibilities. Customer and Sales Cookie agree that Customer is the controller of Personal Data and Sales Cookie is the processor of such data, except (a) when Customer acts as a processor of Personal Data, in which case Sales Cookie is a sub processor; or (b) as stated otherwise in the Services Terms or this DPA. When Sales Cookie acts as the processor or Sub processor of Personal Data, it will process Personal Data only on documented instructions from Customer. Customer agrees that Sales Cookie Services (including the DPA Terms and any applicable updates), along with the product documentation and Customer’s use and configuration of features in the Services, are Customer’s complete documented instructions to Sales Cookie for the processing of Personal Data. Information on Sales Cookie’s Terms of Service can be found at xxxxx://xxxxxxxxxxx.xxx/Home/Terms or a successor location. Any additional or alternate instructions must be agreed to according to the Customer specific agreement with Sales Cookie. In any instance where the GDPR applies and Customer is a processor, Customer warrants to Sales Cookie that Customer’s instructions, including appointment of Sales Cookie as a processor or sub processor, have been authorized by the relevant controller. To the extent Sales Cookie uses or otherwise processes Personal Data subject to the GDPR for Sales Cookie’s legitimate business operations incident to delivery of the Services to Customer, Sales Cookie will comply with the obligations of an independent data controller under GDPR for such use. Sales Cookie is accepting the added responsibilities of a data “controller” for processing in connection with its legitimate business operations to: (a) act consistent with regulatory requirements, to the extent required under GDPR; and (b) provide increased transparency to Customers and confirm Sales Cookie’s accountability for such processing. Sales Cookie employs safeguards to protect Customer Data and Personal Data in processing, including those identified in this DPA and those contemplated in Article 6(4) of the GDPR.
Processor and Controller Roles and Responsibilities. Customer and BlocWatch agree that Customer is the controller of Personal Data and BlocWatch is the processor of such data, except when (a) Customer acts as a processor of Personal Data, in which case BlocWatch is a subprocessor or (b) stated otherwise in any Offering-specific terms. BlocWatch will process Personal Data only on documented instructions from Customer. In any instance where the GDPR applies and Customer is a processor, Customer warrants to BlocWatch that Customer’s instructions, including appointment of Processor as a processor or subprocessor, have been authorized by the relevant controller.
Processor and Controller Roles and Responsibilities. Customer and GitHub agree that Customer is the controller of Personal Data and GitHub is the processor of such data, except (a) when Customer acts as a processor of Personal Data, in which case GitHub is a subprocessor; or (b) as stated otherwise in the GitHub Customer Agreement or this DPA. When GitHub acts as the processor or subprocessor of Personal Data, it will process Personal Data only on Customer’s behalf and in accordance with documented instructions from Customer. Customer agrees that its GitHub Customer Agreement (including the DPA Terms and any applicable updates), along with the product documentation and Customer’s use and configuration of features in the Online Services, are Customer’s complete documented instructions to GitHub for the processing of Personal Data. Information on use and configuration of the Online Services can be found at xxxxx://xxxx.xxxxxx.xxx or a successor location. Any additional or alternate instructions must be agreed to according to the process for amending Customer’s GitHub Customer Agreement. In any instance where the GDPR applies and Customer is a processor, Customer warrants to GitHub that Customer’s instructions, including appointment of GitHub as a processor or subprocessor, have been authorized by the relevant controller. To the extent GitHub uses or otherwise processes Personal Data subject to the GDPR for GitHub’s legitimate business operations incident to delivery of the Online Services to Customer, GitHub will comply with the obligations of an independent data controller under GDPR for such use. GitHub is accepting the added responsibilities of a data “controller” under the GDPR for processing in connection with its legitimate business operations to: (a) act consistent with regulatory requirements, to the extent required under the GDPR; and (b) provide increased transparency to Customers and confirm GitHub’s accountability for such processing. GitHub employs safeguards to protect Personal Data in processing, including those identified in this DPA and those contemplated in Article 6(4) of the GDPR. With respect to processing of Personal Data under this paragraph, GitHub makes the commitments set forth in the Standard Contractual Clauses set forth in Attachment 1 or Attachment 2 (as applicable); for those purposes, (i) any GitHub disclosure of Personal Data, as described in Annex IV to Attachment 1, that has been transferred in connection with GitHub’s legitimate business operations is deemed a “Relevant Disc...
Processor and Controller Roles and Responsibilities. Customer and Grão Direto agree that Customer is the controller of Personal Data and Grão Direto is the processor of such data, except when (a) Customer acts as a processor of Personal Data, in which case Grão Direto is a subprocessor or
Processor and Controller Roles and Responsibilities. Customer and MarkLogic agree that Customer is the controller of Personal Data and MarkLogic is the processor of such data, except when (a) Customer acts as a processor of Personal Data, in which case MarkLogic is a subprocessor or (b) stated otherwise in any Offering-specific terms. MarkLogic will process Personal Data only on documented instructions from Customer. In any instance where the GDPR applies and Customer is a processor, Customer warrants to MarkLogic that Customer’s instructions, including appointment of Processor as a processor or subprocessor, have been authorized by the relevant controller.
Processor and Controller Roles and Responsibilities. Customer and Microsoft agree that Customer is the controller of Personal Data and Microsoft is the processor of such data, except when (a) Customer acts as a processor of Personal Data, in which case Microsoft is a subprocessor or (b) stated otherwise in the Online Service-specific terms. Microsoft will process Personal Data only on documented instructions from Customer. Customer agrees that its volume licensing agreement (including the OST) along with Customer’s use and configuration of features in the Online Services are Customer’s complete and final documented instructions to Microsoft for the processing of Personal Data. Any additional or alternate instructions must be agreed to according to the process for amending Customer’s volume licensing agreement. In any instance where the GDPR applies and Customer is a processor, Customer warrants to Microsoft that Customer’s instructions, including appointment of Microsoft as a processor or subprocessor, have been authorized by the relevant controller. The parties acknowledge and agree that: • The subject-matter of the processing is limited to Personal Data within the scope of the GDPR; • The duration of the processing shall be for the duration of the Customer’s right to use the Online Service and until all Personal Data is deleted or returned in accordance with Customer instructions or the terms of the OST; • The nature and purpose of the processing shall be to provide the Online Service pursuant to Customer’s volume licensing agreement; • The types of Personal Data processed by the Online Service include those expressly identified in Article 4 of the GDPR; and • The categories of data subjects are Customer’s representatives and end users, such as employees, contractors, collaborators, and customers.
Processor and Controller Roles and Responsibilities. Customer and Microsoft agree that Customer is the controller of Personal Data and Microsoft is the processor of such data, except when Customer acts as a processor of Personal Data, in which case Microsoft is a subprocessor. When Microsoft acts as the processor or subprocessor of Personal Data, it will process Personal Data only on documented instructions from Customer. Customer agrees that its Agreement (including this DPA Terms and any applicable updates), along with the Professional Services documentation and Customer’s use of Professional Services,) are Customer’s complete documented instructions to Microsoft for the processing of Personal Data. Any additional or alternate instructions must be agreed to according to the process for amending Customer’s Agreement. In any instance where the GDPR applies and Customer is a processor, Customer warrants to Microsoft that Customer’s instructions, including appointment of Microsoft as a processor or subprocessor, have been authorized by the relevant controller. The parties acknowledge and agree that: • Subject Matter. The subject-matter of the processing is limited to Personal Data within the scope of the section of this DPA entitled “Nature of Data Processing; Ownership” above and the GDPR.
Processor and Controller Roles and Responsibilities. Customer and Microsoft agree that Customer is the controller of Personal Data and Microsoft is the processor of such data, except when Customer acts as a processor of Personal Data, in which case Microsoft is a subprocessor. When Microsoft acts as the processor or subprocessor of Personal Data, it will process Personal Data only on documented instructions from Customer. Customer agrees that its Agreement (including this DPA) are Customer’s complete and final documented instructions to Microsoft for the processing of Personal Data. Any additional or alternate instructions must be agreed to according to the process for amending Customer’s Agreement. In any instance where the GDPR applies and Customer is a processor, Customer warrants to Microsoft that Customer’s instructions, including appointment of Microsoft as a processor or subprocessor, have been authorized by the relevant controller. The parties acknowledge and agree that: • Subject Matter. The subject-matter of the processing is limited to Personal Data within the scope of the section of this DPA entitled “Nature of Data Processing; Ownership” above and the GDPR.
Processor and Controller Roles and Responsibilities. Customer and PHEMI agree that Customer is the controller of Personal Data and PHEMI is the processor of such data, except when (a) Customer acts as a processor of Personal Data, in which case PHEMI is a subprocessor or (b) stated otherwise in any Offering-specific terms. PHEMI will process Personal Data only on documented instructions from Customer. In any instance where the GDPR applies and Customer is a processor, Customer warrants to PHEMI that Customer’s instructions, including appointment of Processor as a processor or subprocessor, have been authorized by the relevant controller.