Effective Date: December 15, 2018
Entities: Jabmo, Inc. (“Jabmo”)
Personal Information that is transferred to Jabmo from the EEA falls into two categories: 1) Personal Information regarding Jabmo customers’ personnel in the EEA such as name, email address, and telephone number processed by Jabmo as the data controller and 2) Personal Information from Jabmo customers’ end users in the EEA that Jabmo processes on behalf of its customers, such as end user name, address, and transaction information. In the case of the latter category, Jabmo acts as a data processor and processes such information only under the instructions of its customers. This information is controlled by Jabmo’s customers in the EEA.
ADHERENCE TO PRIVACY SHIELD PRINCIPLES
PERSONAL DATA PROCESSING UNDER PRIVACY SHIELD
Jabmo has an ABM Platform that helps its B2B customers market to their target customers and prospects. Jabmo services include advertising, when instructed on behalf of its customers or when data is provided to Jabmo, and analytics. Jabmo customers typically provide Jabmo with information about their B2B customers and prospects. Through its services, Jabmo also receives personal information, such as online identifiers and IP addresses.
JABMO’S PURPOSES FOR PROCESSING PERSONAL DATA
Jabmo uses the personal information to provide and strengthen its services for customers. As part of its services, Jabmo may access personal data, use it to provide customer service, monitor and analyze trends, understand activity and usage, and use it to provide its customers with improved products and services. Jabmo may also share information with customers and partners based upon visits to their site. Jabmo may combine this personal data with non-personal data to help companies better understand their business prospects and customers and their interests as well as reach them through Jabmo’s advertising solutions.
Jabmo is a controller and processor of data for the purposes of GDPR, and in compliance with the Privacy Shield Principles, the company commits to resolve complaints about our collection or use of your personal information. If your country participates in the Privacy Shield, then you may contact us with any privacy inquiries or complaints in scope of this notice at privacy[at]Jabmo.com or via mail to:
USA: Jabmo Inc. 100 S. Baldwin, Suite 200, Madison WI 53703.
EU: Jabmo Software SAS, 18 rue de Londres, 75009 Paris, France.
Jabmo has further committed to refer unresolved Privacy Shield complaints to EU data protection authorities (DPAs), an alternative dispute resolution provider located in the EU. If you do not receive timely acknowledgment of your complaint from us, or if we have not addressed your complaint to your satisfaction, please visit http://www.cnil.fr/ for more information or to file a complaint. The services of Commission Nationale de l’Informatique et des Libertés (CNIL) are provided at no cost to you. Jabmo commits to cooperate with EU data protection authorities (DPAs) and comply with the advice given by such authorities with regard to data transferred from the EU.
CNIL – Commission Nationale de l’Informatique et des Libertés
3 Place de Fontenoy
75334 PARIS CEDEX 07
Tel: +33 (0)126.96.36.199.22
Fax: +33 (0)188.8.131.52.00
The Federal Trade Commission has jurisdiction over Jabmo’s compliance with the Privacy Shield. An individual has the possibility, under certain conditions, to invoke binding arbitration for complaints regarding Privacy Shield compliance not resolved by any of the other Privacy Shield mechanisms. For additional information, visit: https://www.privacyshield.gov/article?id=ANNEX-I-introduction
THIRD PARTIES WITH WHOM WE SHARE PERSONAL DATA
Jabmo uses third party service providers to carry out our services, provide support, such as technical assistance, analytics, data storage and hosting, database monitoring and payment processing. These third parties may access, process or store personal data while providing their services on our instructions. Jabmo has appropriate protections in place under European data protection legislation (which includes either Model Clauses, Data Processing Agreements or Privacy Shield compliance) with these third parties restricting their rights to access, use and disclose personal data. Jabmo complies with the Privacy Shield Principles for all onward transfers of personal data from the EEA and may be held liable if both: (i) these third parties process personal data inconsistent with the Privacy Shield Principles and (ii) Jabmo is found responsible for the event giving rise to the damage.
Jabmo may be legally compelled to disclose personal data to respond to lawful requests by public authorities, including to meet national security or law enforcement requirements.