WatchDog Security Technologies Inc. offers a public Data Processing Addendum ("DPA") for customers that require processor terms for Customer Data handled through our services.
01.When the DPA Applies
The DPA applies when WatchDog processes Customer Data on behalf of a customer as a processor, service provider, or equivalent role.
Examples of Customer Data may include uploaded documents, evidence, secure file exchange content, imported records, and other content a customer chooses to store or process through the services.
The DPA does not primarily govern controller-side business data such as account registration data, billing and invoicing data, CRM and relationship-management data, or usage analytics that WatchDog processes for its own legitimate business purposes. Those items are addressed in our Privacy Policy.
02.Current Public DPA
You can review or sign our public DPA here:
03.DPA Summary
| Topic | Summary |
|---|---|
| Roles of the parties | the customer is the controller / business; WatchDog is the processor / service provider for Customer Data |
| Scope | Customer Data processed through the services under the applicable agreement |
| Security | appropriate technical and organizational measures |
| Subprocessors | use of subprocessors subject to written agreements and ongoing management |
| Data subject requests | reasonable assistance where required |
| International transfers | lawful transfer mechanisms and safeguards where required |
| Deletion | return or deletion of Customer Data at the end of the agreement, subject to law and backup cycles |
| No sale / advertising use of Customer Data | WatchDog does not sell Customer Data or use it for cross-context behavioral advertising |
04.Related Documents
Have questions?
Our Privacy Officer is here to help clarify any points of this policy.