These Data Processing and Security Terms, including their appendices (the “Terms”), will be effective and replace any previously applicable data processing and security terms as from the Terms Effective Date (as defined below).
2.1 Capitalized terms defined in the Agreement apply to these Terms. In addition, in these Terms:
2.2 The terms “personal data”, “data subject”, “processing”, “controller” and “processor” as used in these Terms have the meanings given in the GDPR irrespective of whether European Data Protection Law or Non-European Data Protection Law applies.
These Terms will notwithstanding the expiry of the Term, remain in effect until, and automatically expire upon, deletion of all Customer Data by NT Connect as described in these Terms.
4.1 Application of European Law. The parties acknowledge that European Data Protection Law will apply to the processing of Customer Personal Data if, for example:
4.2 Application of Non-European Law. The parties acknowledge that Non-European Data Protection Law may also apply to the processing of Customer Personal Data.
4.3 Application of Terms. Except to the extent these Terms state otherwise, these Terms will apply irrespective of whether European Data Protection Law or Non-European Data Protection Law applies to the processing of Customer Personal Data.
5.1 Roles and Regulatory Compliance; Authorization.
5.1.1 Processor and Controller Responsibilities. If European Data Protection Law applies to the processing of Customer Personal Data:
5.1.2 Authorization by Third-Party Controller. If European Data Protection Law applies to the processing of Customer Personal Data and Customer is a processor, Customer warrants that its instructions and actions with respect to that Customer Personal Data, including its appointment of NT Connect as another processor, have been authorized by the relevant controller.
5.1.3 Responsibilities under Non-European Law. If Non-European Data Protection Law applies to either party’s processing of Customer Personal Data, the relevant party will comply with any obligations applicable to it under that law with respect to the processing of that Customer’s Personal Data.
5.2 Scope of Processing.
5.2.1 Customer’s Instructions. Customer instructs NT Connect to process Customer Personal Data only in accordance with applicable law: (a) to provide the Services and TSS; (b) as further specified via Customer’s use of the Services (including the Admin Console and other functionality of the Services) and TSS; (c) as documented in the form of the Agreement, including these Terms; and (d) as further documented in any other written instructions given by Customer and acknowledged by NT Connect as constituting instructions for purposes of these Terms.
5.2.2 NT Connect’s Compliance with Instructions. NT Connect will comply with the instructions described in Section 5.2.1 (Customer’s Instructions) (including with regard to data transfers) unless European or National Law to which NT Connect is subject requires other processing of Customer Personal Data by NT Connect, in which case NT Connect will notify Customer (unless that law prohibits NT Connect from doing so on important grounds of public interest) before such other processing.
6.1 Deletion by Customer. NT Connect will enable Customer to delete Customer Data during the Term in a manner consistent with the functionality of the Services. If Customer uses the Services to delete any Customer Data during the Term and that Customer Data cannot be recovered by Customer, this use will constitute an instruction to NT Connect to delete the relevant Customer Data from NT Connect’s systems in accordance with applicable law. NT Connect will comply with this instruction as soon as reasonably practicable and within a maximum period of 180 days, unless European or National Law requires storage.
6.2 Deletion on Termination. On expiry of the Term, Customer instructs NT Connect to delete all Customer Data (including existing copies) from NT Connect’s systems in accordance with applicable law. NT Connect will, after a recovery period of up to 30 days following such expiry, comply with this instruction as soon as reasonably practicable and within a maximum period of 180 days, unless European or National Law requires storage. Without prejudice to Section 9.1 (Access; Rectification; Restricted Processing; Portability), Customer is responsible for exporting, before the Term expires, any Customer Data it wishes to retain.
7.1 NT Connect’s Security Measures, Controls, and Assistance.
7.1.1 NT Connect’s Security Measures. NT Connect will implement and maintain technical and organizational measures to protect Customer Data against accidental or unlawful destruction, loss, alteration, unauthorized disclosure, or access. The Security Measures include measures to encrypt personal data; to help ensure ongoing confidentiality, integrity, availability, and resilience of NT Connect’s systems and services; to help restore timely access to personal data following an incident; and for regular testing of effectiveness. NT Connect may update the Security Measures from time to time provided that such updates do not result in the degradation of the overall security of the Services.
7.1.2 Security Compliance by NT Connect Staff. NT Connect will: (a) take appropriate steps to ensure compliance with the Security Measures by its employees, contractors, and Subprocessors to the extent applicable to their scope of performance, and (b) ensure that all persons authorized to process Customer Personal Data are under an obligation of confidentiality.
7.1.3 Additional Security Controls. NT Connect will make Additional Security Controls available to (a) allow Customers to take steps to secure Customer Data; and (b) provide Customers with information about securing, accessing, and using Customer Data.
7.1.4 NT Connect’s Security Assistance. NT Connect will (taking into account the nature of the processing of Customer Personal Data and the information available to NT Connect) assist Customer in ensuring compliance with its obligations pursuant to Articles 32 to 34 of the GDPR, by:
7.2 Data Incidents.
7.2.1 Incident Notification. NT Connect will notify the Customer promptly and without undue delay after becoming aware of a Data Incident, and promptly take reasonable steps to minimize harm and secure Customer Data.
7.2.2 Details of Data Incident. NT Connect’s notification of a Data Incident will describe, to the extent possible, the nature of the Data Incident, the measures taken to mitigate the potential risks, and the measures NT Connect recommends Customer take to address the Data Incident.
7.2.3 Delivery of Notification. Notification(s) of any Data Incident(s) will be delivered to the Notification Email Address.
7.2.4 No Assessment of Customer Data by NT Connect. NT Connect has no obligation to assess Customer Data in order to identify information subject to any specific legal requirements.
7.2.5 No Acknowledgement of Fault by NT Connect. NT Connect’s notification of or response to a Data Incident under this Section 7.2 (Data Incidents) will not be construed as an acknowledgment by NT Connect of any fault or liability with respect to the Data Incident.
7.3 Customer’s Security Responsibilities and Assessment.
7.3.1 Customer’s Security Responsibilities. Without prejudice to NT Connect’s obligations under Sections 7.1 (NT Connect’s Security Measures, Controls and Assistance) and 7.2 (Data Incidents), and elsewhere in the Agreement, Customer is responsible for its use of the Services and its storage of any copies of Customer Data outside NT Connect’s or NT Connect’s Subprocessors’ systems, including:
7.3.2 Customer’s Security Assessment. Customer agrees, based on its current and intended use of the Services, that the Services, Security Measures, Additional Security Controls, and NT Connect’s commitments under this Section 7 (Data Security): (a) meet Customer’s needs, including with respect to any security obligations of Customer under European Data Protection Law and/or Non-European Data Protection Law, as applicable, and (b) provide a level of security appropriate to the risk in respect of the Customer Data.
7.4.1 Customer’s Audit Rights.
7.5.3 Additional Business Terms for Reviews and Audits.
7.5.4 No Modification of MCCs. Nothing in this Section 7.5 (Reviews and Audits of Compliance) varies or modifies any rights or obligations of Customer or NT Connect under any Model Contract Clauses entered into as described in Section 10.2 (Transfers of Data).
NT Connect will (taking into account the nature of the processing and the information available to NT Connect) assist Customer in ensuring compliance with its obligations pursuant to Articles 35 and 36 of the GDPR, by:
9.1 Access; Rectification; Restricted Processing; Portability. During the Term, NT Connect will enable Customer, in a manner consistent with the functionality of the Services, to access, rectify and restrict processing of Customer Data, including via the deletion functionality provided by NT Connect as described in Section 6.1 (Deletion by Customer), and to export Customer Data.
9.2 Data Subject Requests.
9.2.1 Customer’s Responsibility for Requests. During the Term, if NT Connect’s Data Protection Team receives a request from a data subject in relation to Customer Personal Data, and the request identifies Customer, NT Connect will advise the data subject to submit their request to Customer. Customer will be responsible for responding to any such request including, where necessary, by using the functionality of the Services.
9.2.2 NT Connect’s Data Subject Request Assistance. NT Connect will (taking into account the nature of the processing of Customer Personal Data) assist Customer in fulfilling its obligations under Chapter III of the GDPR to respond to requests for exercising the data subject’s rights by:
10.1 Data Storage and Processing Facilities. NT Connect may store and process Customer Data anywhere NT Connect or its Subprocessors maintain facilities, subject to NT Connect’s obligations under:
10.2 Transfers of Data.
10.2.1 NT Connect’s Transfer Obligations. If the storage and/or processing of Customer Personal Data involves transfers of Customer Personal Data out of the EEA, Switzerland or the UK, and European Data Protection Law applies to the transfers of such data (“Transferred Personal Data”), NT Connect will:
10.2.2 Customer’s Transfer Obligations. In respect of Transferred Personal Data, Customer will:
10.3 Data Center Information. Information about the locations of NT Connect facilities is available by Email at legal@ntconnect.com (as may be updated by NT Connect from time to time).
10.4 Disclosure of Confidential Information Containing Personal Data. If Customer has entered into Model Contract Clauses as described in Section 10.2 (Transfers of Data), NT Connect will, notwithstanding any term to the contrary in the Agreement, ensure that any disclosure of Customer’s Confidential Information containing personal data, and any notifications relating to any such disclosures, will be made in accordance with such Model Contract Clauses.
11.1 Consent to Subprocessor Engagement. Customer specifically authorizes the engagement as Subprocessors of: (a) those entities listed as of the Terms Effective Date at the URL specified in Section 11.2 (Information about Subprocessors); and (b) all other NT Connect Affiliates from time to time. In addition, without prejudice to Section 11.4 (Opportunity to Object to Subprocessor Changes), Customer generally authorizes the engagement as Subprocessors of any other third parties (“New Third Party Subprocessors”). If Customer has entered into Model Contract Clauses as described in Section 10.2 (Transfers of Data), the above authorizations constitute Customer’s prior written consent to the subcontracting by NT Connect of the processing of Customer Data.
11.2 Information about Subprocessors. Information about Subprocessors, including their functions and locations, is available by Email at legal@ntconnect.com (as may be updated by NT Connect from time to time in accordance with these Terms).
11.3 Requirements for Subprocessor Engagement. When engaging any Subprocessor, NT Connect will:
11.4 Opportunity to Object to Subprocessor Changes.
12.1 NT Connect’s Data Protection Team. NT Connect’s Data Protection Team can be contacted by Email at legal@ntconnect.com (and/or via such other means as NT Connect may provide from time to time).
12.2 NT Connect’s Processing Records. To the extent the GDPR requires NT Connect to collect and maintain records of certain information relating to Customer, Customer will, where requested, use the Admin Console to supply such information and keep it accurate and up-to-date. NT Connect may make any such information available to the Supervisory Authorities if required by the GDPR.
13.1 Liability Cap. If Model Contract Clauses have been entered into as described in Section 10.2 (Transfers of Data) then, subject to Section 13.2 (Liability Cap Exclusions), the total combined liability of either party and its Affiliates towards the other party and its Affiliates under or in connection with the Agreement and such Model Contract Clauses combined will be limited to the Agreed Liability Cap for the relevant party.13.2 Liability Cap Exclusions. Nothing in Section 13.1 (Liability Cap) will affect the remaining terms of the Agreement relating to liability (including any specific exclusions from any limitation of liability).
Notwithstanding anything to the contrary in the Agreement, where NT Connect is not a party to the Agreement, NT Connect will be a third party beneficiary of Sections 7.5 (Reviews and Audits of Compliance), 11.1 (Consent to Subprocessor Engagement) and 13 (Liability).
Notwithstanding anything to the contrary in the Agreement, to the extent of any conflict or inconsistency between these Terms and the remaining terms of the Agreement, these Terms will govern.
Subject Matter
NT Connect’s provision of the Services and TSS to Customer.
Duration of the Processing
The Term plus the period from the expiry of the Term until deletion of all Customer Data by NT Connect in accordance with the Terms.
Nature and Purpose of the Processing
NT Connect will process Customer Personal Data for the purposes of providing the Services and TSS to Customer in accordance with the Terms.
Categories of Data
Data relating to individuals provided to NT Connect via the Services, by (or at the direction of) Customer, or by Customer End Users.
Data Subjects
Data subjects include the individuals about whom data is provided to NT Connect via the Services by (or at the direction of) Customer or by Customer End Users.
As from the Terms Effective Date, NT Connect will implement and maintain the Security Measures described in this Appendix 2.
(a) Data Centers.
Infrastructure. NT Connect maintains geographically distributed data centers.NT Connect stores all production data in physically secure data centers.
Redundancy. Infrastructure systems have been designed to eliminate single points of failure and minimize the impact of anticipated environmental risks. Dual circuits, switches, networks or other necessary devices help provide this redundancy. The Services are designed to allow NT Connect to perform certain types of preventative and corrective maintenance without interruption. All environmental equipment and facilities have documented preventative maintenance procedures that detail the process for and frequency of performance in accordance with the manufacturer’s or internal specifications. Preventative and corrective maintenance of the data center equipment is scheduled through a standard change process according to documented procedures.
Power. The data center electrical power systems are designed to be redundant and maintainable without impact to continuous operations, 24 hours a day, 7 days a week. In most cases, a primary as well as an alternate power source, each with equal capacity, is provided for critical infrastructure components in the data center. Backup power is provided by various mechanisms such as uninterruptible power supplies (UPS) batteries, which supply consistently reliable power protection during utility brownouts, blackouts, over voltage, under voltage, and out-of-tolerance frequency conditions. If utility power is interrupted, backup power is designed to provide transitory power to the data center, at full capacity, for up to 10 minutes until the diesel generator systems take over. The diesel generators are capable of automatically starting up within seconds to provide enough emergency electrical power to run the data center at full capacity typically for a period of days.
Server Operating Systems. NT Connect servers use a Linux based implementation customized for the application environment. Data is stored using proprietary algorithms to augment data security and redundancy. NT Connect employs a code review process to increase the security of the code used to provide the Services and enhance the security products in production environments.
Businesses Continuity. NT Connect has designed and regularly plans and tests its business continuity planning/disaster recovery programs.
(b) Networks and Transmission.
Data Transmission. Data centers are typically connected via high-speed private links to provide secure and fast data transfer between data centers. This is designed to prevent data from being read, copied, altered or removed without authorization during electronic transfer or transport or while being recorded onto data storage media. NT Connect transfers data via Internet standard protocols.
External Attack Surface. NT Connect employs multiple layers of network devices and intrusion detection to protect its external attack surface. NT Connect considers potential attack vectors and incorporates appropriate purpose built technologies into external facing systems.
Intrusion Detection. Intrusion detection is intended to provide insight into ongoing attack activities and provide adequate information to respond to incidents. NT Connect’s intrusion detection involves:
Incident Response. NT Connect monitors a variety of communication channels for security incidents, and NT Connect’s security personnel will react promptly to known incidents.
Encryption Technologies. NT Connect makes HTTPS encryption (also referred to as SSL or TLS connection) available. NT Connect servers support ephemeral elliptic curve Diffie-Hellman cryptographic key exchange signed with RSA and ECDSA. These perfect forward secrecy (PFS) methods help protect traffic and minimize the impact of a compromised key, or a cryptographic breakthrough.
(a) Site Controls.
On-site Data Center Security Operation. NT Connect’s data centers maintain an on-site security operation responsible for all physical data center security functions 24 hours a day, 7 days a week. The on-site security operation personnel monitor closed circuit TV (CCTV) cameras and all alarm systems. On-site security operation personnel perform internal and external patrols of the data center regularly.
Data Center Access Procedures. NT Connect maintains formal access procedures for allowing physical access to the data centers. The data centers are housed in facilities that require electronic card key access, with alarms that are linked to the on-site security operation. All entrants to the data center are required to identify themselves as well as show proof of identity to on-site security operations. Only authorized employees, contractors and visitors are allowed entry to the data centers. Only authorized employees and contractors are permitted to request electronic card key access to these facilities. Data center electronic card key access requests must be made through e-mail, and require the approval of the requestor’s manager and the data center director. All other entrants requiring temporary data center access must: (i) obtain approval in advance from the data center managers for the specific data center and internal areas they wish to visit; (ii) sign in at on-site security operations; and (iii) reference an approved data center access record identifying the individual as approved.
On-site Data Center Security Devices. NT Connect’s data centers employ an electronic card key and biometric access control system that is linked to a system alarm. The access control system monitors and records each individual’s electronic card key and when they access perimeter doors, shipping and receiving, and other critical areas. Unauthorized activity and failed access attempts are logged by the access control system and investigated, as appropriate. Authorized access throughout the business operations and data centers is restricted based on zones and the individual’s job responsibilities. The fire doors at the data centers are alarmed. CCTV cameras are in operation both inside and outside the data centers. The positioning of the cameras has been designed to cover strategic areas including, among others, the perimeter, doors to the data center building, and shipping/receiving. On-site security operations personnel manage the CCTV monitoring, recording and control equipment. Secure cables throughout the data centers connect the CCTV equipment. Cameras record on site via digital video recorders 24 hours a day, 7 days a week. The surveillance records are retained for up to 30 days based on activity.
(b) Access Control.
Infrastructure Security Personnel. NT Connect has, and maintains, a security policy for its personnel, and requires security training as part of the training package for its personnel. NT Connect’s infrastructure security personnel are responsible for the ongoing monitoring of NT Connect’s security infrastructure, the review of the Services, and responding to security incidents.
Access Control and Privilege Management. Customer’s administrators must authenticate themselves via a central authentication system or via a single sign on system in order to administer the Services.
Internal Data Access Processes and Policies – Access Policy. NT Connect’s internal data access processes and policies are designed to prevent unauthorized persons and/or systems from gaining access to systems used to process personal data. NT Connect designs its systems to (i) only allow authorized persons to access data they are authorized to access; and (ii) ensure that personal data cannot be read, copied, altered or removed without authorization during processing, use and after recording. The systems are designed to detect any inappropriate access. NT Connect employs a centralized access management system to control personnel access to production servers, and only provides access to a limited number of authorized personnel. NT Connect’s authentication and authorization systems utilize SSH certificates and security keys, and are designed to provide NT Connect with secure and flexible access mechanisms. These mechanisms are designed to grant only approved access rights to site hosts, logs, data and configuration information. NT Connect requires the use of unique user IDs, strong passwords, two factor authentication and carefully monitored access lists to minimize the potential for unauthorized account use. The granting or modification of access rights is based on: the authorized personnel’s job responsibilities; job duty requirements necessary to perform authorized tasks; and a need to know basis. The granting or modification of access rights must also be in accordance with NT Connect’s internal data access policies and training. Approvals are managed by workflow tools that maintain audit records of all changes. Access to systems is logged to create an audit trail for accountability. Where passwords are employed for authentication (e.g., login to workstations), password policies that follow at least industry standard practices are implemented. These standards include restrictions on password reuse and sufficient password strength. For access to extremely sensitive information (e.g., credit card data), NT Connect uses hardware tokens.
(a) Data Storage, Isolation and Logging. NT Connect stores data in a multi-tenant environment on NT Connect-owned servers. Subject to any Customer instructions to the contrary (for example, in the form of a data location selection), NT Connect replicates Customer Data between multiple geographically dispersed data centers. NT Connect also logically isolates the Customer’s data. Customer will be given control over specific data sharing policies. Those policies, in accordance with the functionality of the Services, will enable Customer to determine the product sharing settings applicable to Customer End Users for specific purposes. Customer may choose to make use of logging functionality that NT Connect makes available via the Services.
(b) Decommissioned Disks and Disk Erase Policy. Disks containing data may experience performance issues, errors or hardware failure that lead them to be decommissioned (“Decommissioned Disk”). Every Decommissioned Disk is subject to a series of data destruction processes (the “Disk Erase Policy”) before leaving NT Connect’s premises either for reuse or destruction. Decommissioned Disks are erased in a multi-step process and verified complete by at least two independent validators. The erase results are logged by the Decommissioned Disk’s serial number for tracking. Finally, the erased Decommissioned Disk is released to inventory for reuse and redeployment. If, due to hardware failure, the Decommissioned Disk cannot be erased, it is securely stored until it can be destroyed. Each facility is audited regularly to monitor compliance with the Disk Erase Policy.
NT Connect personnel are required to conduct themselves in a manner consistent with the company’s guidelines regarding confidentiality, business ethics, appropriate usage, and professional standards. NT Connect conducts reasonably appropriate backgrounds checks to the extent legally permissible and in accordance with applicable local labor law and statutory regulations.
Personnel are required to execute a confidentiality agreement and must acknowledge receipt of, and compliance with, NT Connect’s confidentiality and privacy policies. Personnel are provided with security training. Personnel handling Customer Data are required to complete additional requirements appropriate to their role (e.g., certifications). NT Connect’s personnel will not process Customer Data without authorization.
Before onboarding Subprocessors, NT Connect conducts an audit of the security and privacy practices of Subprocessors to ensure Subprocessors provide a level of security and privacy appropriate to their access to data and the scope of the services they are engaged to provide. Once NT Connect has assessed the risks presented by the Subprocessor, then subject to the requirements described in Section 11.3 (Requirements for Subprocessor Engagement) of these Terms, the Subprocessor is required to enter into appropriate security, confidentiality and privacy contract terms.