You have reached the Jile privacy addendum for China mainland. To go back to the general Jile privacy notice, please click here.
When we collect, store, use, process, transfer, provide, disclose and delete (for purpose of addendum of China, collectively referred to as the "Process", "Processing" or "Processed") your personal information, we shall be subject to the relevant legal basis and principles under the PRC Personal Information Protection Law ("PIPL") and other relevant laws. Below you will find the additional specific provisions applicable to you as a resident or data subject within China. Please click here for the simplified Chinese version of Jile privacy addendum of China.
Where it is necessary for us to provide your personal information to a recipient outside the territory of China due to any business need or any other need, we will inform you of the name and contact information of the overseas recipient, the purpose and method of the Processing, and the type of personal information involved, as well as the way for you to exercise your rights provided for by the PIPL against the overseas recipient.
We will take necessary measures to ensure that the activities of Processing of your personal information carried out by overseas recipients meet the standards of personal information protection provided under the PIPL.
We will not provide any of your personal information stored within the territory of China to a foreign judicial or law enforcement body, unless approved by the relevant PRC authorities.
The legitimate interest under the General Data Protection Regulation may not be applicable in China. We will obtain your consent for Processing of your personal information as required by the PIPL and other relevant laws.
In the event of any change of the purpose or method of Processing or the type of personal information we Process, we will re-obtain your consent.
We will secure your separate consent in the following data Processing activities:
Prior to conducting any of the following activities, we will conduct a personal information protection impact assessment and keep a record of Processing. The personal information protection impact assessment reports and records of Processing will be retained for at least 3 years:
Changes to your personal information
It is important that the personal information we hold about you is accurate and current. Please keep us informed if your personal data changes during your relationship with us.
Your rights in connection with personal information
Under certain circumstances, by law you have the following rights:
However, where the retention period prescribed by the relevant laws and regulations of PRC has not expired, or it is technically difficult to delete the personal information, we will cease the Processing of the personal information, except for the storage and any necessary measure taken for security protection.
We establish an accessible mechanism for receiving your requests above to exercise your rights. We will provide an explanation of reasons where any of your request to exercise your rights is not practical.
We have appointed Data Protection Officers (DPOs) in China to oversee compliance of TCS/Jile with PIPL and other applicable data protection laws, the privacy notice and this addendum. If you want to exercise one of the above rights in connection to your personal information or if you have any queries or complaints about our privacy notice or how we handle your personal information, please contact us at dpo.china@tcs.com