Data Processing Addendum (DPA)

Last updated: Feb 5, 2026

This Data Processing Addendum (“DPA”) applies to the extent TEJ Intelligence processes Personal Data on behalf of a customer (“Customer”) as part of providing the Services. This DPA is intended to satisfy applicable data protection requirements for processor obligations.

1. Definitions

  • Personal Data: information relating to an identified or identifiable natural person.
  • Processing: any operation performed on Personal Data, such as collection, storage, use, disclosure, or deletion.
  • Controller and Processor have the meanings given by applicable data protection law.

2. Roles and scope

Customer is the Controller of Personal Data and TEJ Intelligence is the Processor, to the extent TEJ Intelligence processes Personal Data on Customer’s behalf. Each party will comply with applicable data protection law.

3. Processing instructions

TEJ Intelligence will process Personal Data only on documented instructions from Customer, including as needed to provide the Services, unless required to do otherwise by law. If TEJ Intelligence believes an instruction violates applicable law, it will inform Customer.

4. Confidentiality

TEJ Intelligence ensures that personnel authorized to process Personal Data are under appropriate confidentiality obligations.

5. Security

TEJ Intelligence will implement appropriate technical and organizational measures designed to protect Personal Data against accidental or unlawful destruction, loss, alteration, unauthorized disclosure, or access.

6. Subprocessors

Customer authorizes TEJ Intelligence to engage subprocessors to support delivery of the Services (e.g., hosting, analytics, support). TEJ Intelligence will impose obligations on subprocessors that are no less protective than those in this DPA.

7. Assistance

TEJ Intelligence will provide reasonable assistance to Customer to respond to data subject requests, perform data protection impact assessments, and consult with regulators, as applicable, taking into account the nature of processing and information available.

8. Deletion or return

Upon termination of the Services, TEJ Intelligence will, at Customer’s choice and where feasible, delete or return Personal Data, unless retention is required by law.

9. Cross-border transfers

Where Personal Data is transferred internationally, the parties will rely on appropriate safeguards as required by law (e.g., standard contractual clauses where applicable).

10. Contact

Questions about this DPA? Contact admin@tejintelligence.com.

This document is provided for general informational purposes and does not constitute legal advice.