AWS as sub-processor. The AWS Service Terms include the SCCs adopted by the European Commission (EC) in June 2021, and the AWS GDPR DPA confirms that the SCCs will apply automatically whenever an AWS customer uses AWS services to transfer customer data to countries outside of the European Economic Area that have not received an adequacy decision from the EC (third countries). As part of the AWS Service Terms, the new SCCs will apply automatically whenever a customer uses AWS services to transfer customer data to third countries. The few customers that have signed an AWS GDPR DPA can continue to rely on that AWS GDPR DPA because the new SCCs in the AWS Service Terms replace the previous version of the SCCs. Customers can therefore be comfortable that any customer data they transfer to third countries using AWS services has the same high level of protection that customer data receives in the EEA. For more information, please see the attached AWS GDPR Data Processing Addendum.
AWS DPA attached
DPA statement:
'Controller acknowledges and agrees that, in connection with the performance of the Services under the Agreement, no Personal Data will be transferred to Grokability, Inc in the United States, provided the account signup region is one within Europe/EU. Controller accounts are provisioned on servers within Europe/EU when they indicate that as their regional location on signup.'