subprocessors data sharing · Privacy Policy
Didit policy finding
“ We may disclose personal data to: The customer that asked us to perform the verification , so the customer can complete onboarding, fraud review, compliance checks, or related business processes. Didit group entities , where necessary to operate, support, secure, or provide the relevant services. Service providers and sub-processors , providers of cloud hosting, storage, infrastructure, communications, support, analytics, fraud prevention, document processing, security, audit, and professional services. A current sub-processor list is available to customers and prospective customers under a signed Non-Disclosure Agreement (NDA) on request to security@didit.me . Professional advisers , lawyers, auditors, insurers, and consultants, where needed for legitimate business, compliance, or legal purposes. Public authorities, regulators, courts, law enforcement, or other third parties , when required by law, legal process, or enforceable governmental request. Successors and transaction counterparties , if Didit is involved in a merger, acquisition, financing, insolvency process, or sale of assets, subject to confidentiality and legal safeguards. Didit does not sell, lease, trade, or otherwise profit from biometric identifiers or biometric information.”
- Document
- Privacy Policy
- Captured
- 2026-07-20
- Location
- § 6 (How we disclose personal data)
- Snapshot SHA-256
- c76647e4473d37e9d292a8df885eb195d38b83057b5950d7acde9825f2e04663
Informational only, not legal advice. Terms change; verify the source and capture date.