subprocessors data sharing · Privacy Policy
Hebbia policy finding
“ Additional Provisions for Processor Data that is Subject to the CCPA Scope and Role of Parties. This Clause 6 shall only apply with respect to Processor Data that is subject to the CCPA. When processing Processor Data subject to the CCPA under this DPA, the parties acknowledge and agree that Customer is a Business and Hebbia is a Service Provider for the purposes of the CCPA. For the purpose of this Clause 6, "Business", "Business Purpose", "Commercial Purpose", "Consumer," "Personal Information", "Process," "Sell", "Service Provider", and "Share" have the meanings given to them in the CCPA. Responsibilities . Customer discloses or otherwise makes available Processor Data to Hebbia for the limited and specific purpose of Hebbia carrying out the Permitted Purposes. Hebbia shall: (i) comply with its applicable obligations under the CCPA; (ii) provide the same level of protection as required under the CCPA; (iii) notify Customer if it can no longer meet its obligations under the CCPA; (iv) not “sell” or “share” (as such terms are defined by the CCPA) Processor Data; (v) not retain, use, or disclose Processor Data for any purpose (including any commercial purpose) other than the Permitted Purpose or as otherwise permitted under the CCPA; (vi) not retain, use, or disclose Processor Data outside of the direct business relationship between Customer and Hebbia or as otherwise permitted under the CCPA; and (vii) unless otherwise permitted by the CCPA, not combine Processor Data with Personal Information that Hebbia: (a) receives from, or on behalf of, another person, or (b) collects from its own, independent consumer interaction. ”
- Document
- Privacy Policy
- Captured
- 2026-06-08
- Location
- Annex II
- Snapshot SHA-256
- 3c570754c1bea230d2c6bd7e426e1827367e40a98090b722a12a362772c17161
Informational only, not legal advice. Terms change; verify the source and capture date.