This Data Processing Agreement (โDPAโ) is an addendum to the Terms & Conditions between Obvi8 ย (โObvi8โ) and you (โCustomerโ). ย The DPA will be effective and replace any previously applicable data processing and security terms as from 25thย May 2018 and will continue for as long as Obvi8 provides the services as set out in Obvi8 ย Terms & Conditions.
Definitions
โCustomer Dataโย means data provided by or on behalf of Customer or Customer End Users via the Services under the account.
โData Controllerโย means the entity that determines the purposes and means of the processing of Personal Data.
โData Processorโย means the entity that processes Personal Data on behalf of the Data Controller.
โData Protection Lawsโย means all data protection and privacy laws and regulations applicable to the processing of Personal Data under the Agreement, including the GDPR.
โData Subjectโย means the individual to whom the Personal Data relates.
โEEAโ means the European Economic Area.
โGDPRโย means EU General Data Protection Regulation 2016/679.
โPersonal Dataโย means any Customer Data relating to an identified or identifiable natural person to the extent that such information is protected as personal data under GDPR.
โProcessingโย has the meaning given to it in the GDPR and โprocessโ, โprocessesโ and โprocessedโ shall be interpreted accordingly.
โSub-Processorโย means any third party authorised under this DPA to have logical access to and process Customer Data to provide parts of the Services.
โServicesโย means any product or service provided to Customer and as described in Obvi8 ย Terms & Conditions.
Data Processing
Obvi8 will only act and process Customer Data in accordance with the documented instruction from Customer (the โInstructionโ), unless required by law to act without such Instruction. The Instruction at the time of entering into this DPA is that Obvi8 may only process Customer Data with the purpose of delivering Services as described in its Terms & Conditions and any product-specific agreements. Subject to the terms of this DPA and with agreement of the parties, Customer may issue additional written instructions consistent with the terms of this Agreement. Customer is responsible for ensuring that all individuals who provide instructions are authorised to do so.
Obvi8 will inform Customer of any instruction that it deems to be in violation of GDPR and will not execute the instructions until they have been confirmed or modified.
When Customer Data is processed by Obvi8 both parties acknowledge and agree that:
– Obvi8 is a Data Processor of Customer Data under the GDPR
– Customer is a Data Controller of Customer Data under GDPR.
Confidentiality
Obvi8 shall treat all Customer Data as strictly confidential information. Customer Data may not be copied, transferred or otherwise processed in conflict with the Instruction from Customer unless required by law.
Obvi8 employees shall be subject to an obligation of confidentiality that ensures that the employees shall treat all Customer Data under this DPA with strict confidentiality and only process Customer Data in accordance with the Instruction.
Sub-Processing
Customer authorises Obvi8 to engage third-parties to process Customer Data (โSub-Processorsโ) without obtaining any further written, specific authorisation. Obvi8 will restrict Sub-Processor access to Customer Data to what is necessary to provide the Services.
Obvi8 shall complete a written agreement with any Sub-Processors. Such an agreement shall at minimum provide the same data protection obligations as the ones applicable under this DPA. It remains accountable for any Sub-Processor in the same way as for its own actions and omissions.
Obvi8 will inform Customer of any new Sub-Processor engagements at least 30 days before the new Sub-Processor processes any Customer Data. Notifications of such engagements will be delivered to the account email address and/or through the control panel interface. It is Customerโs sole responsibility to ensure account information is correct and kept up to date.
Customer has the right to object to a use of a Sub-Processor by terminating this Addendum and Services in accordance with Obvi8 Terms and Conditions. A list of current Sub-Processors can be found in Annex 1.
Security
Obvi8 will implement and maintain technical and organizational measures to protect Customer Data against accidental or unlawful destruction, loss, alteration, unauthorised disclosure or access as set out Annex 2 of this Addendum and in accordance with GDPR, article 32. The security measures are subject to technical progress and development and Customer acknowledges that Obvi8 may update or modify the security measures from time-to-time provided that such updates and modifications do not result in the degradation of the overall security. In addition, Obvi8 will make controls available to Customer to further secure Customer Data inside the control panel.
Data Breach Notifications
If Obvi8 becomes aware of a breach of security leading to the accidental or unlawful destruction, loss, alteration, unauthorised disclosure of, or access to, Customer Data on systems managed by or otherwise controlled by Obvi8, Obvi8 agrees to notify Customer without hesitation or delay. Notifications of such incidents will be sent to the account email address as set by Customer. It is Customerโs sole responsibility to ensure this information is correct and kept up to date inside the control panel.
Obvi8 will make reasonable efforts to identify the cause of any breach and take necessary steps to prevent such a breach from reoccurring.
Customer agrees that Data Breach Notifications will not include unsuccessful attempts or activities that do not compromise the security of Customer Data, including unsuccessful log-in attempts, pings, port scans, denial of service attacks, and other network attacks on firewalls or networked systems.
Data Subject Rights
If Obvi8 directly receives a request from a Data Subject to exercise such rights in relation to Customer Data, it will forward the request to Customer. Customer must respond to any such request within the timeframes specified within GDPR.
Obvi8 will assist Customer in fulfilling any obligation to respond to requests by data subjects, which may include providing controls via the control panel to help comply with the commitments set out under GDPR.
Data Transfers
Obvi8 stores and processes data in secure datacentres located inside the European Economic Area (โEEAโ). Data may be transferred and processed outside the EEA to countries where Sub-Processors maintain their own data processing operations. Customer hereby agrees to the transfer, storing or processing of data outside the EEA. Obvi8 will take all steps reasonably necessary to ensure that Customer Data is treated securely and in accordance with the relevant Data Protection Laws.
Compliance and Audit Rights
Obvi8 agrees to maintain records of its security standards and, upon written request by Customer, Obvi8 shall make available all relevant information necessary to demonstrate compliance with this DPA. Customer agrees any audit or inspection shall be carried out with reasonable prior written notice of no less than 30 days and shall not be conducted more than once in any 12-month period. If Obvi8 declines the request, Customer is entitled to terminate this addendum and Services.
Return or Deletion of Data
Obvi8 only retains Customer Data for as long as required to fulfil the purposes for which it was initially collected. Termination of this Addendum or Services in line with Obvi8 Terms & Conditions will result in all Customer Data being deleted, unless otherwise required by law. For Customer Data archived on back-up systems, Obvi8 shall securely isolate and protect from any further processing.
Limitation of Liability
The total liability of each part under this addendum shall be subject to the limitation of liability as set out in Obvi8 Terms & Conditions. For the avoidance of doubt, in no instance will Obvi8 be liable for any losses or damages suffered by Customer where Customer is using Services in violation of its Terms & Conditions, regardless of whether it terminates or suspend an account due to such violation.
Annex โ Sub-Processors
| Company | Service |
| Stripe | Credit/Debit Card Payments |
| Nominet | Domain Names |
| Tucows (OpenSRS) | Domain Names |
| GeoTrust (Symantec) | SSL/TLS Certificates |
| Google Analytics | Control panel analytics. Reporting on anonymised data. |
| Xero | Financial accounting |





