Common use of Restricted Transfers Clause in Contracts

Restricted Transfers. If the processing of Customer Personal Data involves any transfers that are not Permitted Transfers, and European Data Protection Law applies to those transfers (as certified by Customer under Section 10.4 (Certification by Non-EMEA Customers) if its billing address is outside EMEA) (“Restricted Transfers”), then: a. if Google announces its adoption of an Alternative Transfer Solution for any Restricted Transfers, then Google will ensure that they are made in accordance with that Alternative Transfer Solution; and/or b. if Google has not adopted an Alternative Transfer Solution for any Restricted Transfers, then: i. if Google’s address is in an Adequate Country: A. the SCCs (EU Processor-to-Processor, Google Exporter) will apply with respect to all Restricted Transfers from Google to Subprocessors; and B. in addition, if Customer’s billing address is not in an Adequate Country, the SCCs (EU Processor-to-Controller) will apply (regardless of whether Customer is a controller and/or processor) with respect to Restricted Transfers between Google and Customer; or ii. if Google’s address is not in an Adequate Country: A. the SCCs (EU Controller-to-Processor) and/or SCCs (EU Processor- to-Processor) will apply (according to whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the EU GDPR and/or the Swiss FDPA; and B. the SCCs (UK Controller-to-Processor) will apply (regardless of whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the UK GDPR.

Appears in 2 contracts

Samples: Data Processing Amendment, Data Processing Amendment

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Restricted Transfers. If the processing of The parties acknowledge that European Data Protection Law does not require SCCs or an Alternative Transfer Solution in order for Customer Personal Data involves to be processed in or transferred to an Adequate Country. If Customer Personal Data is transferred to any transfers that are not Permitted Transfers, other country and European Data Protection Law applies to those the transfers (as certified by Customer under Section 10.4 4.2 (Certification by Non-EMEA Customers) of these European Data Protection Law terms, if its billing address is outside EMEA) (“Restricted Transfers”), then: a. if Google announces its adoption of has adopted an Alternative Transfer Solution for any Restricted Transfers, then Google will inform Customer of the relevant solution and ensure that they such Restricted Transfers are made in accordance with that Alternative Transfer Solutionit; and/oror b. if Google has not adopted an Alternative Transfer Solution for any Restricted Transfers, then:or informs Customer that Google is no longer adopting, an Alternative Transfer Solution for any Restricted Transfers (without adopting a replacement Alternative Transfer Solution): i. if Google’s address is in an Adequate Country: A. the SCCs (EU Processor-to-Processor, Google Exporter) will apply with respect to all such Restricted Transfers from Google to Subprocessors; and B. in addition, if Customer’s billing address is not in an Adequate Country, the SCCs (EU Processor-to-to Controller) will apply (regardless of whether Customer is a controller and/or or processor) with respect to such Restricted Transfers between Google and Customer; or ii. if Google’s address is not in an Adequate Country: A. , the SCCs (EU Controller-to-Processor) and/or or SCCs (EU Processor- Processor-to-Processor) will apply (according to whether Customer is a controller and/or or processor) with respect to such Restricted Transfers between Customer Google and Google that are subject to the EU GDPR and/or the Swiss FDPA; and B. the SCCs (UK Controller-to-Processor) will apply (regardless of whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the UK GDPRCustomer.

Appears in 1 contract

Samples: Master Agreement

Restricted Transfers. If the processing of Customer Personal Data involves any transfers that are not Permitted PermiGed Transfers, and the European Data Protection Law Legislation applies to those transfers (as certified by Customer under Section 10.4 (Certification by Non-EMEA Customers) if its billing address is outside EMEA) (“Restricted Transfers”), then: a. (a) if Google announces its adoption of an Alternative Transfer Solution for any Restricted Transfers, then Google will ensure that they are made in accordance with that Alternative Transfer Solution; and/or b. (b) if Google has not adopted an Alternative Transfer Solution for any Restricted Transfers, then: i. (i) if Google’s address is in an Adequate Country: A. (A) the SCCs (EU Processor-to-Processor, Google ExporterExpo0er) will apply with respect to all Restricted Transfers from Google to Subprocessors; and B. (B) in addition, if Customer’s billing address is not in an Adequate Country, the SCCs (EU Processor-to-to- Controller) will apply with respect to Restricted Transfers between Google and Customer (regardless of whether Customer is a controller and/or a processor) with respect to Restricted Transfers between Google and Customer); or (ii. ) if Google’s address is not in an Adequate Country: A. (A) the SCCs (EU Controller-to-Processor) and/or SCCs (EU Processor- Processor-to-Processor) will apply (according to whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the EU GDPR and/or the Swiss FDPA; and B. (B) the SCCs (UK Controller-to-Processor) will apply (regardless of whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the UK GDPR.

Appears in 1 contract

Samples: Data Processing Agreement

Restricted Transfers. If the processing of The parties acknowledge that European Data Protection Law does not require SCCs or an Alternative Transfer Solution in order for Customer Personal Data involves to be processed in or transferred to an Adequate Country. If Customer Personal Data is transferred to any transfers that are not Permitted Transfers, other country and European Data Protection Law applies to those the transfers (as certified by Customer under Section 10.4 4.2 (Certification by Non-EMEA Customers) of these European Data Protection Law terms, if its billing address is outside EMEA) (“Restricted Transfers”), then: a. if Google announces its adoption of has adopted an Alternative Transfer Solution for any Restricted Transfers, then Google will inform Customer of the relevant solution and ensure that they such Restricted Transfers are made in accordance with that Alternative Transfer Solutionit; and/oror b. if Google has not adopted an Alternative Transfer Solution for any Restricted Transfers, then:or informs Customer that Google is no longer adopting, an Alternative Transfer Solution for any Restricted Transfers (without adopting a replacement Alternative Transfer Solution): i. if Google’s address is in an Adequate Country: A. the SCCs (EU Processor-to-Processor, Google Exporter) will apply with respect to all such Restricted Transfers from Google to Subprocessors; and B. in addition, if Customer’s billing address is not in an Adequate Country, the SCCs (EU Processor-to-to Controller) will apply (regardless of whether Customer is a controller and/or or processor) with respect to such Restricted Transfers between Google and Customer; or ii. if Google’s address is not in an Adequate Country: A. , the SCCs (EU Controller-to-to- Processor) and/or or SCCs (EU Processor- Processor-to-Processor) will apply (according to whether Customer is a controller and/or or processor) with respect to such Restricted Transfers between Customer Google and Google that are subject to the EU GDPR and/or the Swiss FDPA; and B. the SCCs (UK Controller-to-Processor) will apply (regardless of whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the UK GDPRCustomer.

Appears in 1 contract

Samples: Google Cloud Platform Terms of Service for G Cloud 14

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Restricted Transfers. If the processing of Customer Personal Data involves any transfers that are not Permitted Transfers, and European Data Protection Law applies to those transfers (as certified by Customer under Section 10.4 (Certification by Non-EMEA Customers) if its billing address is outside EMEA) (“Restricted Transfers”), then: a. if Google announces its adoption of an Alternative Transfer Solution for any Restricted Transfers, then Google will ensure that they are made in accordance with that Alternative Transfer Solution; and/or b. if Google has not adopted an Alternative Transfer Solution for any Restricted Transfers, then: i. if Google’s address is in an Adequate Country: A. the SCCs (EU Processor-to-Processor, Google Exporter) will apply with respect to all Restricted Transfers from Google to Subprocessors; and B. in addition, if Customer’s billing address is not in an Adequate Country, the SCCs (EU Processor-to-Controller) will apply (regardless of whether Customer is a controller and/or processor) with respect to Restricted Transfers between Google and Customer; or ii. if Google’s address is not in an Adequate Country: A. the SCCs (EU Controller-to-Processor) and/or SCCs (EU Processor- Processor-to-Processor) will apply (according to whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the EU GDPR and/or the Swiss FDPA; and B. the SCCs (UK Controller-to-Processor) will apply (regardless of whether Customer is a controller and/or processor) with respect to Restricted Transfers between Customer and Google that are subject to the UK GDPR.

Appears in 1 contract

Samples: Data Processing Amendment

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