Jurisdictional Privacy Appendix (APAC & Canada)
This Appendix supplements the Privacy Policy for users and customers in the regions below. If there is a conflict, this Appendix controls for residents of the specified jurisdiction.
General
Where local law grants additional rights or imposes additional obligations, those provisions apply to the extent they conflict with or augment the Privacy Policy. Cross-border transfers use appropriate safeguards (SCCs/IDTA, contractual terms, technical measures) as described in the DPA.
1. Canada (PIPEDA & Québec Law 25)
- Accountability: Privacy Officer: info@atlasipholdingsllc.com.
- Purpose & Consent: We collect, use, and disclose personal information for the purposes in the Privacy Policy; express consent where required, implied consent otherwise per PIPEDA.
- Access & Correction: You may request access/correction; we respond within timeframes set by law.
- Cross-border Transfers: Processing may occur in the US or other countries with contractual/technical safeguards; upon request we provide information about such transfers.
- Québec Law 25: Privacy impact assessments for high-risk projects, incident log retention, and data portability where required.
- Complaints: Office of the Privacy Commissioner of Canada (OPC) priv.gc.ca.
2. Australia (Privacy Act 1988 & Australian Privacy Principles)
- APP 1–5: Transparent management of personal information; collection notices at/around time of collection.
- APP 6–8: Use/disclosure per stated purposes; overseas disclosures subject to appropriate protections.
- Access & Correction (APP 12–13): Request via info@atlasipholdingsllc.com.
- Complaints: Office of the Australian Information Commissioner (OAIC) oaic.gov.au.
3. Singapore (PDPA)
- Consent & Notification: We obtain consent where required and notify purposes for collection, use, disclosure.
- Access/Correction: Requests via info@atlasipholdingsllc.com (reasonable fees may apply).
- Transfer Limitation: Overseas transfers protected by comparable safeguards (contractual + technical measures).
- Complaints: Personal Data Protection Commission (PDPC) pdpc.gov.sg.
4. Japan (APPI)
- Purpose of Use: As disclosed in the Privacy Policy; material changes notified/announced as required by APPI.
- Provision to Third Parties: Consent obtained where required, except where permitted by law.
- Cross-Border Transfers: For foreign provision, we implement measures per APPI and disclose information about recipient systems/safeguards upon request.
- Disclosure/Correction/Suspension: Requests via info@atlasipholdingsllc.com; appeals handled per APPI. Regulator: Personal Information Protection Commission (PPC) ppc.go.jp.
5. New Zealand (Privacy Act 2020)
- Collection & Use: As described in the Privacy Policy; no materially incompatible new uses without a lawful basis.
- Overseas Disclosure (IPP 12): Reasonable steps to ensure overseas recipients are subject to comparable safeguards.
- Access & Correction: Requests via info@atlasipholdingsllc.com. Regulator: Office of the Privacy Commissioner (OPC NZ) privacy.org.nz.
6. Hong Kong (PDPO)
- Data Collection Principles: Collection directly where feasible; purposes stated at collection.
- Use & Disclosure: For stated or directly related purposes unless consent or law provides otherwise.
- Access & Correction: Data Access/Correction Requests via info@atlasipholdingsllc.com. Regulator: Office of the Privacy Commissioner for Personal Data (PCPD) pcpd.org.hk.
7. Regional Contact & Redress
- General Contact: info@atlasipholdingsllc.com
- EU/UK Representative (if appointed): available in the DPA or upon request.
- Lodging Complaints: You may also contact your local data protection authority/commissioner using the links above.
8. Cross-Border Transfers
Where data is transferred outside your jurisdiction, Atlas relies on safeguards such as SCCs/IDTA, contractual terms, and technical measures (encryption, access controls). Additional measures may apply for sensitive data as required by local law. See the DPA for details.