Intelliger LTD designs its website and services around the core requirements of the EU General Data Protection Regulation and the UK GDPR where they apply.
This page summarises our approach. It does not claim that one technical control or document establishes compliance by itself. The legal role, processing purpose, data and risk must be assessed for each deployment.
Our role depends on the processing
Website and business communications
Intelliger LTD is the controller for personal data collected through this website, contact forms, access requests and our own business communications. Our Privacy Policy explains that processing.
Customer operational data
For customer data processed through an Intelliger service, the customer will commonly determine the purpose of the processing and act as controller. Intelliger LTD will commonly act as processor and follow the customer's documented instructions. The applicable services agreement and data processing agreement define the parties' roles for each deployment.
Our data protection principles
We apply the following principles to personal-data processing:
- Lawfulness, fairness and transparency: identify a lawful basis and explain the processing in clear language.
- Purpose limitation: use personal data for defined, documented purposes.
- Data minimisation: collect and expose only the data needed for the task.
- Accuracy: support correction of inaccurate data where relevant.
- Storage limitation: define retention criteria and remove data when it is no longer required.
- Integrity and confidentiality: apply security measures appropriate to the data and risk.
- Accountability: retain evidence of decisions, instructions and controls where required.
Data protection by design
Deployment design considers:
- which systems and data sources a worker may access;
- user, operator and worker identities;
- purpose-specific permissions and approval gates;
- data location and permitted transfers;
- retention and deletion requirements;
- logging, evidence and incident response;
- the effect of automated processing on individuals; and
- testing before authority is increased.
Where a customer uses Intelliger for personal data, these controls must be configured for that customer's lawful purpose and responsibilities.
Data processing agreements
Where required, Intelliger LTD can enter into a data processing agreement addressing:
- documented processing instructions;
- confidentiality and authorised personnel;
- security measures;
- subprocessors;
- assistance with individual-rights requests;
- personal-data incidents;
- deletion or return of data; and
- audit and compliance information.
To discuss a data processing agreement or deployment requirements, email hello@intelliger.ai.
International data transfers
Where a restricted international transfer is necessary, the parties identify the relevant transfer mechanism. Depending on the countries and law involved, this may include an adequacy decision, the European Commission's Standard Contractual Clauses, or a UK transfer addendum or agreement, together with supplementary safeguards where required.
Individual rights
We support applicable rights of access, correction, deletion, restriction, portability, objection and withdrawal of consent. The controller responsible for the processing is normally the first point of contact.
For data controlled by Intelliger LTD, send your request to hello@intelliger.ai. If your request concerns data controlled by an Intelliger customer, we may direct it to that customer or assist the customer under our agreement.
Security and incidents
Security measures are selected for the deployment and risk. If Intelliger LTD becomes aware of a personal-data incident affecting customer-controlled data, we follow the notification and assistance obligations in the applicable agreement and data protection law.
Read more about our security and deployment approach.
Contact
For privacy requests, data processing terms or GDPR questions:
Intelliger LTD
Email: hello@intelliger.ai