﻿# GDPR Recommendations for Cloud Softphone apps

The GDPR regulation requires services operated by EU companies or those serving customers in EU countries to be compliant with its provisions. We are providing the following recommendations on how to achieve GDPR compliance for providers using our Cloud Softphone platform.

The full text of GDPR can be found at [http://data.consilium.europa.eu/doc/document/ST-5419-2016-INIT/en/pdf](http://data.consilium.europa.eu/doc/document/ST-5419-2016-INIT/en/pdf).

GDPR requires to inform users about several important points with regard to the collection and processing of their
personal data. It is mandatory to provide this information.

Cloud Softphone includes a "EULA" (End User License Agreement) feature. EULA is a page which is shown after the app is
installed and launched for the first time. The EULA must be agreed to before the user can start using the app. This
makes it ideal for this purpose.

!!! important
    All apps should have EULA configured in order to be GDPR-compliant.

EULA should contain general "Terms and Conditions" for your service and we recommend including the following information
with regards to GDPR:

!!! important
    These points cover the processing of personal data by Cloud Softphone platform ONLY. In case you collect additional
    data from your customers and process them in other ways, like for marketing purposes, you may need to give your
    customers additional information.

## 1. Identity of Personal Data Controller

The controller of the personal data as defined in Article 4.7 of GDPR is: CONTROLLER_CONTACT_DETAILS. Data Protection
Officer can be contacted at DPO_CONTACT_DETAILS.

!!! note
    According to Article 4.7 of GDPR, **controller** determines the purposes and means of the processing of
    personal data, while **processor** processes personal data on behalf of the controller. By this logic, you as
    the service provider are the **controller**, while Alien Licensing, GmbH is the **processor**. GDPR requires
    publishing the contact details of the **controller**. Any telephony service also requires **Data Protection
    Officer**, whose contact details also need to be published here. We can provide the service of
    **Data Protection Officer** if needed.

## 2. Lawful Purpose

For the correct functionality of the service, certain data fulfilling the definition of "personal data" given by
paragraph 4.1 of GDPR needs to be processed. This data is stored and processed solely for the purpose of enabling the
features of the Service. By accepting this EULA, you are entering a contract and personal data is lawfully processed
in accordance to paragraph 6.1.b of GDPR.

## 3. Location

The Personal Data is stored on servers within the European Union and the United States of America. In case the servers are
located in the USA, they are always hosted at centers which participate in EU-U.S. Privacy Shield Framework as set forth by
the U.S. Department of Commerce and the European Commission.

!!! note
    This information is correct for servers hosted by us. In case you decide to host any servers on your premises, you
    may need to adjust this paragraph accordingly.

## 4. Time Period

The Personal Data is necessary for the correct operation of the Service. They will be processed as long as the service
is in use. In case you decide to stop using the Service and uninstall the related apps, all Personal Data will be
removed from our servers within a period of 7 days, with the exception of data we are required to hold for compliance
with a legal obligation which requires processing by Union or Member State law, as specified in GDPR Article 17.3.

## 5. Right to be forgotten, rectification of Personal Data

You have the right to request erasure of your Personal Data by GDPR Article 17 and 18\). To do so, uninstall the apps and
the data will be removed automatically as specified in the "Time Period" paragraph. The service depends on the Personal
Data being processed and can not work correctly without it. The Personal Data originates from the input given by the
user; rectification can be done by editing the data within the app at any time.

## 6. Collected Data

### SIP Account Credentials

Required for Push Notifications and WebRTC app to work. They are being used to register the account on the server
and forward any incoming calls and messages to the device via Push Notifications.

### Address Book Data

Required for "Contact Sync" and "Smart Contacts" feature to work. A copy of your Address Book is kept on the server
and used to show your address book in WebRTC app and to notify you about your contacts that also use the Service.

### IP Addresses

When using features which require server components, like Push Notifications or Contact Sync and Smart Contacts, or
any web services, the IP address and browser information may be logged by the servers. The logs are automatically
rotated and the information in them is only processed when troubleshooting specific issues, or when required by law.

### Usage Data

The servers collect information whether the app has been actively used within the current month, for
accounting/billing purposes. The data has a form of pseudonymized identifier which is reported by the app when it
is used and the time since the last report is more than 14 days.

!!! note
    In case you are hosting SIPIS and WEBIS servers on your own premises, the first paragraph can be omitted, because
    the SIP account credentials are naturally known to you as the SIP service provider and they are not shared with
    anyone. In case you are not using Contact Sync or Smart Contacts feature, feel free to omit the second paragraph
    as well.

## 7. Data Portability

You have the right to request a copy of your Personal Data in a portable format.

!!! note
    In case someone requests the data in a portable format, we will need to solve the authentication of this request
    (GDPR Article 12.6\). We will need to know SIP username and password to make sure we give copy of the data to the
    right person. In some cases, the users don't even know their SIP username and password though, we will need other
    means of identification, like phone number + PIN verification. We will cooperate with providers to resolve more
    complex cases.

## 8. Complaints

You have the right to lodge a complaint with a supervisory authority.