Qlik doesn’t suggest users place individual information content into applications inside our Cloud provider. For more information please see the Qlik Cloud Services regards to provider as well as the Qlik SaaS Services Agreement.
Qlik gathers fundamental data that are personal which it really is the information Controller ( ag e.g. Qlik Account, Cloud use information, etc.). As is customary, Qlik additionally keeps a database of consumer and partner email address for payment, advertising as well as other ordinary business purposes. Qlik holds this information in conformity with relevant information security legislation and guarantees adequate security features have been in destination around these information kinds.
Qlik just isn’t typically an information Processor for clients of Customer-Managed Deployment or Attunity items. The reason being any content a person chooses to put into or create when you look at the Qlik Customer-Managed Deployment or Attunity Products remains from the consumer’s system(s). Qlik doesn’t have use of this article; consequently, the client, and never Qlik, could be the information Controller while the information Processor for this content in information security law terms. Exceptions for this may occur if, whenever Qlik provides Support or asking solutions to an individual, of course the consumer chooses to share with you content in the Deployment that is customer-Managed products that takes place to contain individual information. Such sharing are at the discernment regarding the consumer as well as the individual information content must certanly be anonymized or minimized by the consumer depending on privacy legislation information anonymization / minimization best-practice. It is perhaps perhaps perhaps not typically needed for clients to get into an information processing agreement with Qlik. For further concern on information processing agreements, please contact firstname.lastname@example.org.
Qlik has implemented Privacy-By-Design and Privacy-By-Default protocols that take privacy concerns under consideration as a indigenous element of its R&D/Product development procedure. An example for this may be the real method QlikView and QlikSense target access legal rights to Qlik applications (“apps”) developed in the platform: unless the creator for the software or some body with administrator liberties affirmatively funds use of the application with other users, by standard only the creator regarding the software may have usage of it.
General privacy conformity information
Qlik is conscious that compliance with privacy/data protection legislation, in specific GDPR, is top-of-mind for clients and lovers. To that particular end, there are a few helpful features in Qlik products which makes it possible to, once the information controller and processor, to adhere to EU information Protection legislation needs. More information can be obtained at https://www.qlik.com/us/trust/gdpr.
For more information, please contact your typical Qlik contact or CustomerSupport@qlik.com. Further GDPR information linked to Qlik can be seen at www.qlik.com/us/gdpr. For privacy information associated with QlikвЂ™s internet site and operations that are general see
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Qlik Cloud Solutions
The details in this document is accurate as of February 2021. Qlik reserves the ability to help make modifications from time-to-time to your privacy methods of their services and products and you’re motivated to check on this Policy for future updates. This Policy is actually for information purposes just and will not form element of client terms that are contractual.