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Webex Data Protection Agreement

Genel
20.12.2020
111
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This document contains details of a complementary product called People Insights. If you are part of an organization in which this feature has been activated and you have not unsubscribed, other people may see a wide range of personal information about you at the meeting. This may not be an expected behaviour and could be considered highly intrusive. It would also support micromanagement and potential harassment in certain contexts. People Insights has superficial similarities to a feature in Zoom, which was written in nyTimes in early April 2020, although the language that describes the Webex version clearly indicates that the Webex version has additional privacy rules. In addition, Cisco`s main privacy policy indicates that third parties that collect information may also combine end-user information from other sources. This has the potential to create a large amount of data on anyone who touches a Cisco service. Cisco`s conditions provide that they authorize the collection of data by third parties. These thirds are not listed and opt-outs are the generic industry option that only lasts when a person allows cookies, which exposes the end user to more tracking. (i) regarding conference and collaboration clients, the name and email address (almost always business email address) of: conference organizers, participants in managerial events (where the customer ordered MZ to collect this information) and Cisco product users, you will know how to manage and process your personal or personal identifiable data.

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The service encrypts confidential data at rest. All data that is not encrypted in standby mode is protected by highly secure protection mechanisms and operations in the data center. Webex data centers have a leading communications, integration, flexibility, scalability and availability infrastructure. (b) provided training in legislation on the processing of personal data; and this document contains storage and erasure windows that are fairly general and complete. In most cases, Cisco can keep information up to 7 years after the service ends. This long and open retention period increases the possibility that data will be included in potential mergers or acquisitions or product improvements without the ultimate users ability to have notification, consent or control. NOTE: Since the original document is a pdf and the information is displayed in a table, the excerpt here changes the format – but not the content – of the language. `standard clauses`, the standard contractual clauses for the transfer of personal data to a subcontractor outside the European Economic Area, in the form adopted from time to time by the European Commission; The registration mark for webex is here: cart.webex.com/sign-up-webex. “We keep your personal data if necessary in order to fulfill the purposes for which it was collected.

We store and use your personal data when necessary to meet our business requirements, legal obligations, dispute resolution, protection of our assets and the application of our agreements. 8. Cisco`s key privacy policies do not define a clear end to data. Their terms contain a general language that could be interpreted as allowing data to be kept indefinitely. Their secondary policy defines sunsets that can last up to 7 years. This long period, combined with the general rights claimed for the transmission of data to third parties and the processing of data by Cisco as an asset that can be transferred as part of a free sale in sales law, creates a significant risk of data protection. 2.11. In addition to its obligations under paragraphs 2.9 and 2.10, MZ is required to notify the client as soon as he becomes aware of a breach of personal data (the term being understood by reference to the RGPD); and Cisco`s key privacy policies state that they transmit personal data to third parties for marketing purposes.

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