Appendix 1 to the Standard Contractual Clauses
By entering into the Standard Contractual Clauses, pursuant to Section 12.1 of the Addendum, the parties are deemed to have signed this Appendix 1.
Data exporter
The data exporter is the Client, as defined in the Addendum.
Data importer
The data importer is Surveybot, as defined in the Addendum.
Data subjects
The personal data transferred concern the Client and any other data subject whose personal data the Client may decide to provide to Surveybot, at the Client’s sole discretion.
Categories of data
The personal data transferred typically include basic contact information (such as name, email, phone number), photographic images (such as profile pictures), location data, and data that pertain to a data subject’s survey responses. In addition, customizable fields within Surveybot’s web application can be used to solicit any other category of personal data, at the Client’s sole discretion.
Special categories of data (if appropriate)
The personal data transferred do not typically include special categories of data but the customizable fields within Surveybot’s web application can be used to solicit any category of personal data, at the Client’s sole discretion, including special categories of data.
Processing operations
The personal data transferred will be subject to the processing activities pertaining to the provision of the Services, as defined in the Addendum, such as enabling Surveybot’s end-user to survey their prospects, customers and employees.
Appendix 2 to the Standard Contractual Clauses
By entering into the Standard Contractual Clauses, pursuant to Section 12.1 of the Addendum, the parties are deemed to have signed this Appendix 2.
Description of the technical and organisational security measures implemented by the data importer in accordance with Clauses 4(d) and 5(c) (or document/legislation attached):
Data importer has implemented and will maintain the technical and organizational security measures to ensure a level of security appropriate to the risk, including, as appropriate, the measures referred to in Article 32(1) of the GDPR.