01

Scope and roles

For account, support, security and billing information, Plynt determines the necessary processing purposes. For operational data a customer places in a workspace, the customer generally acts as controller and Plynt as processor.

  • 01Marketing-site visitors
  • 02Account holders and workspace members
  • 03Customer-controlled workspace content
02

Information collected

Plynt may handle account details, workspace settings, tasks, clients, time and financial records entered by users, support messages and technical logs required to operate and protect the service.

  • 01Name, email and workspace membership
  • 02Customer-provided operational records
  • 03Device, browser, IP and security logs
03

How information is used

Information is used to provide and secure the service, maintain accounts, process payments, support users, meet legal obligations and improve reliability. Workspace content is not sold or used for targeted advertising.

  • 01Service delivery and support
  • 02Security and fraud prevention
  • 03Product reliability and lawful administration
04

Sharing and processors

Plynt may share the minimum required information with infrastructure, database, email, payment and support providers acting under contract, and when legally required or necessary to protect rights and safety.

  • 01Contracted service providers
  • 02Customer-authorised integrations
  • 03Lawful requests and corporate transactions
05

Retention and deletion

Information is retained while needed for the service, security, disputes and legal obligations. Workspace closure starts a deletion process subject to backup cycles and limited records that law requires Plynt to keep.

  • 01Active-account retention
  • 02Documented deletion request
  • 03Limited legal and security retention
06

Rights and choices

Depending on location, individuals may request access, correction, deletion, restriction, portability or objection and may complain to a competent data-protection authority.

  • 01Email info@plynt.us
  • 02Identity verification may be required
  • 03Authorised workspace requests may be routed to the customer
07

International processing and changes

Providers may process information in multiple countries using applicable contractual safeguards. Material policy changes are dated here and, where appropriate, communicated to workspace administrators.

  • 01Cross-border safeguards
  • 02Current subprocessor information via DPA
  • 03Effective-date history

CLEAR TERMS / DIRECT CONTACT

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