Your privacy is important to us and maintaining your trust is one of our highest priorities. This Privacy Policy includes a description of our information practices, how we use tracking technologies, as well as the decisions you may make regarding how your information is collected and used.
Waterview App is using OneSignal services to send push notifications. Bellow is their privacy policy for data collection.
OneSignal is a customer engagement platform for companies around the
world to enable their relationships with (and communicate with) their customers. This is primarily done
by leveraging first party data (the company’s data on their customers) to personalize and automate
messaging by the company through various channels, such as email, SMS, mobile push notifications, web
push notifications, and in-app messaging.
OneSignal collects this first party data through a software development kit (“ SDKs ”) that companies use in their mobile applications and websites. These web and mobile SDKs permit app developers and website operators to send, manage, optimize and customize messages to their customers and users. All of our services are referred to collectively as our “ Services, ” and the app developers, website operators, business customers, partners and advertisers are referred to collectively as our “ Clients. ”
This privacy policy (the “ Privacy Policy ”) explains our personal information practices regarding:
This Privacy Policy does not apply to any third-party sites or hosted services you may find or access through our website. This Privacy Policy also does not apply to our Client’s data practices. If you submit personal information to any of those sites or services or to our Clients, your information will be governed by their privacy policies. We encourage you to carefully read the privacy policy of any site you visit or hosted service you use.
References to “personal information” in this Privacy Policy mean information that identifies, relates to, describes, is reasonably capable of being associated with, or could reasonably be linked, directly or indirectly, to an individual or household.
Data Controller or Data Processor
OneSignal is primarily a data processor (or service provider) in relation to the Services we provide to our Clients, such as when a Client deploys our technology in order to collect, process or transfer their first party data. In some cases we operate as a data controller (or business) when we process personal information of our business contacts, employees, and representatives.
1. Changes to This Privacy Policy
We reserve the right, at our sole discretion, to modify this Privacy Policy or any portion thereof. Any changes will be effective from the time of publication of the new privacy policy. Your continued use of the Services after the changes have been implemented shall indicate your agreement with the terms of such revised privacy policy. Otherwise, and if the new privacy policy does not suit you, you must no longer use the Services. Where required by law we will notify you and/or obtain your consent.
If you have any questions regarding this Privacy Policy, please contact our Data Protection Officer at Privacy@OneSignal.com or at 201 S. B Street, Suite 200 San Mateo, CA 94401.
3. Our Data Practices on our SDKs
Categories of Information Collected About Client End Users by Our Web SDKs
Categories of Information Collected About Client End Users by Our Mobile SDKs
Sensitive Information
We generally ask our Clients not to provide us with any sensitive information of the Client End Users. However, if they do provide us with sensitive information, then as a service provider to our Clients, we rely on our Clients to obtain consent (if required by applicable law) or provide opt out rights (if required by law) and to provide all rights to individuals as are required by applicable law, contract, or otherwise. Where applicable and required by law, we may enter into U.S. business associate agreements with our Clients for the processing of protected health information.
We refer to all of the above collectively as the “ SDK Information .”Sources of SDK Information
The categories of sources of the SDK Information include the following:
How We Use the SDK Information
We use the SDK Information on behalf of our Clients for the purpose of providing the Services to our Clients. This includes:
We may deploy online cookies to track users across websites, or to associate users (and these cookies) with Mobile IDs. We may do this to resolve user identifies across platforms, and to better or more accurately target messages. You can learn more about cookies and similar technologies, such as web beacons and SDKs, in the Section titled “ Cookies, Pixel Tags and SDKs .”
We may also use the SDK Information for the following purposes:
How We Disclose the SDK Information
We may disclose SDK Information to the following categories of third parties:
California, Virginia, Colorado, Connecticut, and Utah Residents.
4. Our Data Practices on the OneSignal Website(s)
OneSignal Website Information We Collect
We collect the following personal information from visitors of our website(s) (the “ OneSignal Website Information, ” including the website on which this Privacy Policy appears (“ OneSignal Website(s) ”):
Sensitive Information
If you are a California resident and you have created an online login account with us, your account login information may be treated as sensitive information under the California Consumer Privacy Act of 2018 (CCPA). The account is set up in your capacity as a representative of one of our Clients. We use that information at your specific request and to perform our services to the Client. We do not use sensitive information for the purpose of inferring characteristics about you. Also, we do not sell sensitive information and we do not process or otherwise disclose sensitive information for the purpose of behavioral advertising. You may ask us to delete this account information, but you will not be able to log in anymore on behalf of the Client.
Sources of OneSignal Website Information
The categories of sources of the SDK Information include the following:
How We Use the OneSignal Website Information
In addition to the uses described above, we use the OneSignal Website Information (alone or in combination) to provide, market, and operate the OneSignal Websites and Services. Among other things, by collecting the OneSignal Website Information, we are able to:
How We Disclose the OneSignal Website Information
We may disclose the OneSignal Website Information to the following categories of third parties:
California, Virginia, Colorado, Connecticut, and Utah Residents.
5. Cookies, Pixel Tags and SDKs
Cookies and Pixel Tags. Cookies are small data files containing a string of characters, such as an anonymous unique browser identifier. Cookies are stored on your computer or other device and act as unique tags that identify your device or browser. Our servers may send your device a cookie when you visit the OneSignal Websites, and our Clients and partners may do likewise on our OneSignal Websites, our Clients’ websites, and elsewhere. A pixel tag (also commonly known as a web beacon or clear GIF) is an invisible 1 x 1 pixel that is placed on certain web pages. When you access web pages on which a pixel tag is deployed, the pixel tag may generate a generic notice of the visit and permit OneSignal, our Clients or partners to set or read cookies. Pixel tags are used in combination with cookies to anonymously track the activity on a website by a particular browser on a particular device. If you disable cookies, pixel tags simply detect an anonymous website visit. OneSignal, alone or with our Clients and partners, may use cookies to, among other things, “remember” you (e.g., when you visit the OneSignal Websites or the websites of our Clients or partners), track trends, and collect information about how you use our Clients’ or partners’ websites or interact with advertising. We and partners we work with use cookies to provide relevant content to you and replace non-relevant ads with ads that better match your interests. We may sometimes use other locally stored objects in ways similar to how we use cookies. Often, these objects are deleted when you clear your browser cookie cache, but because this may not always occur (depending on the browser you use), we recommend that if you wish to opt out of notification features or third party interest-based advertising you instead follow the steps we have set forth in Section 7 titled “ Consumer Control & Opt-Out Options. ”
Mobile Device Identifiers and SDKs. We may use or work with partners who use mobile SDKs (including our own SDKs, which are described in more detail in this Policy) to collect information, such as mobile identifiers (e.g., IDFAs and Android Advertising IDs), and information related to how mobile devices and their users interact with our Services and those using our Services. The SDK is computer code that app developers can include in their apps to enable ads to be shown, data to be collected, and related services to be implemented. We may use this technology, for instance, to identify users through mobile applications and browsers based on information associated with your mobile device. We do not collect advertising identifiers such as IDFAs or Android Advertising IDs.
Social Media Widgets. The OneSignal Website may include social media features, such as the Twitter button, and widgets, such as the Share this button or interactive mini-programs. These features may collect your IP address, which page you are visiting on the website, and may set a cookie to enable the feature to function properly. Social media features and widgets are either hosted by a third party or hosted directly on the website. Your interactions with these features are governed by the privacy policy of the company providing it.
Do Not Track Signals. OneSignal currently does not respond to browser do not track (DNT) signals, so we may not be aware of, or may be unable to respond to, such signals.
Generally speaking, we retain the SDK Information and Website Information for as long as reasonably necessary to achieve our objectives as detailed in this Privacy Policy, and to comply with our legal obligations, resolve disputes and enforce our agreements. We may delete user information from certain apps that we deem as “inactive,” in-line with applicable privacy laws and privacy best practices, and in response to requests from Clients and individuals. In general, “inactive” apps include apps with no recent messages sent or impressions made, no recent logins by accounts associated with the app, and/or no meaningful changes in user counts.
When considering the retention period for personal information, we consider the nature, sensitivity, and amount of the personal information, the potential risk of harm from unauthorized disclosure or use, and our legal, regulatory, tax, accounting and other similar obligations.
For customers on our free plan, we delete push subscribers that have not been active for the past 18 months. Push subscribers are considered dormant if the subscriber: (1) has not used the customer’s mobile app or visited the customer’s website in more than 18 months, or (2) OneSignal has not processed any data points for the subscriber in more than 18 months. For customers on active paid plans, their subscribers will be retained until the customer chooses to delete them.
We have reasonable administrative, technical, and physical safeguards in place in our physical facilities and in our computer systems, databases, and communications networks. These safeguards are designed to protect information from unauthorized or illegal access, destruction, use, modification, or disclosure and to protect the confidentiality, integrity, and accessibility of personal information. In addition, we are SOC 2 Type 2 certified and have a SOC 2 Type 2 report certifying that our security policies and controls meet industry standards. This report captures how we safeguard customer data and how well those controls are operating.
Note that no method of electronic transmission or storage is 100% secure and we cannot guarantee absolute security of personal information.
We do not knowingly collect personal information from anyone under the age of 18. Our services and our website are directed to and intended for people who are at least 18 years old or older. If you are a parent or guardian and you are aware that your child has provided us with personal information, please contact us. If we become aware that we have collected personal information from anyone under the age of 18 without verification of parental consent, we take steps to remove that information from our servers and databases.
If our Clients provide us with information about individuals under the age of 18, as a service provider we rely on our Clients to obtain consent (if required by applicable law) or provide opt out rights (if required by law) and otherwise to provide such rights to individuals and their parents or legal guardians as are required by applicable law, contract, or otherwise.
9. Third-Party Websites and Apps
We are not responsible for the privacy practices or disclosures of websites and applications that use our Services. Likewise, when you access the OneSignal Website, you may be directed to other websites that are also beyond our control. We encourage you to read the applicable privacy policies and terms and conditions of such third parties and websites, and the industry tools that we have referenced in this Privacy Policy. This Privacy Policy, however, only applies to the OneSignal Site and the Services.
10. European Data - Legal Grounds
If you are a visitor to our OneSignal Website from the European Economic Area, Switzerland or the United Kingdom, our legal basis for collecting and using the personal information described above will depend on the personal information concerned and the specific context in which we collect it.
Our legal grounds for processing your personal information may be one or more of the following:
If we process your personal information on behalf of a Client, we rely on our Client’s legal ground for processing your personal information on their behalf.
11. Individuals From Outside the United States
Data is hosted and stored in Europe and accessed in the United States, as well as other countries where our offices or facilities are located or where our service providers operate. The data protection and other laws of the United States might not be as comprehensive as those in your country. By using the OneSignal Website or Services you consent to your information being transferred to our offices and facilities and to those of our service providers to whom we disclose it.
Standard Contractual Clauses
If you are located in the European Economic Area, the United Kingdom or Switzerland, we will protect your personal information when it is transferred outside of your jurisdiction by (a) processing it in a territory that provides an adequate level of protection based on its data protection laws; or (b) implementing appropriate safeguards to protect your personal information, such as relying on the European standard contractual clauses (and the United Kingdom addendum, if applicable). OneSignal currently relies on these European standard contractual clauses for data transfers and the Data Privacy Framework (see below).
Data Privacy Framework
OneSignal complies with the EU-U.S. Data Privacy Framework, the UK Extension to the EU-U.S. Data Privacy Framework, and the Swiss-U.S. Data Privacy Framework as set forth by the U.S. Department of Commerce. OneSignal has certified to the U.S. Department of Commerce that it adheres to the EU-U.S. Data Privacy Framework Principles (“ EU-U.S. DPF Principles ”) with regard to the processing of Personal Data received from the European Union in reliance on the EU-U.S. DPF and from the United Kingdom in reliance on the UK Extension to the EU-U.S. DPF. OneSignal has certified to the U.S. Department of Commerce that it adheres to the Swiss-U.S. Data Privacy Framework Principles (“ Swiss-U.S. DPF Principles ”) with regard to the processing of Personal Data received from Switzerland in reliance on the Swiss-U.S. DPF. If there is any conflict between the terms in this privacy policy and the EU-U.S. DPF Principles and/or the Swiss-U.S. DPF Principles, the DPF principles shall govern. To learn more about the Data Privacy Framework (“ DPF ”) program, and to view our certification page, please visit https://www.dataprivacyframework.gov/list .
OneSignal commits to applying the DPF’s Principles to all Personal Data that OneSignal in the U.S. receives from European Economic Area member countries, the United Kingdom, and Switzerland in reliance on the respective DPF.
Our compliance with the DPF is subject to the investigatory and enforcement powers of the U.S. Federal Trade Commission. In accordance with the DPF, we are also liable for onward transfers to third parties that process personal information in a way that does not follow the DPF.
In compliance with the EU-U.S. DPF and the UK Extension to the EU-U.S. DPF and the Swiss-U.S. DPF, OneSignal commits to cooperate and comply respectively with the advice of the panel established by the EU data protection authorities (DPAs) and the UK Information Commissioner’s Office (ICO) and the Swiss Federal Data Protection and Information Commissioner (FDPIC) with regard to unresolved complaints concerning our handling of human resources data received in reliance on the EU-U.S. DPF and the UK Extension to the EU-U.S. DPF and the Swiss-U.S. DPF in the context of the employment relationship. Please email us at privacy@onesignal.com with any questions, concerns, or complaints about our DPF certification. You can resolve any applicable disputes with us related to our certification free of charge through JAMS ( https://www.jamsadr.com/DPF-Dispute-Resolution ), an alternative dispute resolution provider based in the United States. You can contact JAMS as described at https://www.jamsadr.com/DPF-Dispute-Resolution .
In some situations, the DPF Framework gives you the right to invoke binding arbitration. You can do this to resolve complaints not resolved by other means, as described in Annex I to the DPF Framework ( https://www.dataprivacyframework.gov/framework-article/ANNEX-I-introduction )
OneSignal agrees to periodically review and verify its compliance with the DPF Principles, and to remedy any issues arising out of failure to comply with the DPF Principles. OneSignal acknowledges that its failure to provide an annual self-certification to the U.S. Department of Commerce will remove it from the Department’s list of DPF participants.
12. Consumer Control and Opt Out Options
You may have the following privacy rights:
See Certain US Rights and Rights of Europeans below for additional rights that may apply to you.
Opting Out of OneSignal Push Notifications
You may in most cases opt out of receiving push notifications by going to your device “Settings” and clicking on “Notifications,” and then changing those settings for some or all of the apps on your device. Different device configurations, or updates to devices, may affect or change how these settings work.
Your choice to opt out of “Notifications” from the OneSignal platform will not affect notifications placed by any other organization.
Opting Out of Online Interest-Based Advertising by Third Parties
You can opt out of many of the platforms and service providers that facilitate online interest-based advertising by visiting the Digital Advertising Alliance’s consumer education and opt-out page, at http://www.aboutads.info/. This type of opt out is cookie based and specific to each browser, which means that if you replace or upgrade your browser, or delete your cookies, you will need to opt out again. Opting out in this way will not prevent you from receiving ads – it will just make the ads you see less customized to you.
Opting Out of “Cross-App” Advertising on Mobile Devices by Third Parties
You can opt out of having your mobile advertising identifiers used for certain types of interest-based (also called “cross-app”) mobile behavioral advertising, by accessing the “settings” on your Apple or Android mobile device.
Additional Choices – Our Clients
Our Clients may also provide ways for you to opt out from or limit their collection of information from and about you. Please refer to the privacy policies of our Clients to learn more about their privacy practices.
Where you wish to enforce any of these rights in respect of our Services, you should contact the Client who provides you with the website or mobile application. We will then help them to fulfill that request in accordance with their instructions and applicable legal requirements.
Additional Choices - Europeans
In accordance with European data protection law and the Data Privacy Framework, you may opt out of having your personal information used for a purpose that is materially different from the purpose(s) for which it was originally collected or subsequently authorized by you. We do not disclose your personal data to third parties except to our service providers who act on our behalf. If we were to disclose your personal data to other parties who are not our service providers, we would allow you to opt out.
We ask that our clients not disclose to us any sensitive information about you (e.g., personal information specifying medical or health conditions, racial or ethnic origin, political opinions, religious or philosophical beliefs, trade union membership or information specifying the sex life of the individual). If we do receive sensitive information about you from our clients, then European data protection law and the Data Privacy Framework requires us to obtain your consent. We rely on our clients to obtain any consent needed to disclose sensitive information to us.
As a California, Virginia, Colorado, Connecticut or Utah resident, you may have the additional rights below.
Additional rights that are not applicable are not listed above because OneSignal is not engaged in such activities (e.g., selling, sharing for cross context behavioral advertising, targeted advertising, and profiling).
Personal Information from Client
If you make a request relating to personal information that we process on behalf of a Client, you will need to make the request directly with our Client unless our Client has authorized us to respond directly to you.
Know, Access, and Data Portability
You have the right to request that we disclose certain information to you about our collection and use of your personal information. Once we receive and confirm your verifiable consumer request, we will disclose to you:
Correction
You have the right to request that OneSignal correct any of your personal information that OneSignal collected from you and retained. Once we receive and confirm your verifiable consumer request, we will correct your personal information.
Deletion
You have the right to request that OneSignal delete any of your personal information that OneSignal collected from you and retained, subject to certain exceptions. Once we receive and confirm your verifiable consumer request, we will delete your personal information from our records, unless an exception applies under applicable law.
Right of No Discrimination and No Retaliation
We will not retaliate or discriminate against you for exercising any of your rights under applicable law. You have the right not to receive discriminatory treatment for the exercise of any of these rights.
Appeal Right – Virginia, Colorado, Connecticut Residents
If we decline to take action regarding your request, we will inform you of that decision and the justification for declining to take action.
If we decline to take action at the direction of our Client, you must contact the Client directly to appeal the decision.
For Virginia residents, you have the right appeal our decision by no later than 30 days after we inform you of our decision. Send your appeal to us via email at Privacy@OneSignal.com with “Appeal Right” in the subject line of your email . Within 60 days after we receive your appeal, we will inform you of any action taken or not taken in response to the appeal. If the appeal is denied, you may contact Virginia’s Attorney General to submit a complaint at https://www.oag.state.va.us/consumer-protection/index.php/file-a-complaint.
For Colorado residents, you have the right appeal our decision by no later than 30 days after we inform you of our decision. Send your appeal to us via email at Privacy@OneSignal.comwith “Appeal Right” in the subject line of your email. Within 45 days after we receive your appeal, we will inform you of any action taken or not taken in response to the appeal. We may extend this period by 60 additional days where reasonably necessary. If the appeal is denied, you may contact Colorado’s Attorney General to submit a complaint at https://coag.gov/file-complaint/.
For Connecticut residents, you have the right appeal our decision by no later than 30 days after we inform you of our decision. Send your appeal to us via email at Privacy@OneSignal.com with “Appeal Right” in the subject line of your email. Within 60 days after we receive your appeal, we will inform you of any action taken or not taken in response to the appeal. If the appeal is denied, you may contact Connecticut’s Attorney General to submit a complaint at https://portal.ct.gov/AG/Common/Complaint-Form-Landing-page.
Exercising Your Rights
To exercise the rights described above, please submit a verifiable consumer request emailing us at Privacy@OneSignal.com and including your full name and email address and the type of request you are making (e.g., right to know, access, portability, correction, or deletion).
Only you, or someone legally authorized to act on your behalf, may make a verifiable consumer request related to your personal information.
In accordance with European data protection law and the Data Privacy Framework, if your personal information is protected under applicable European data protection law, you may have the following rights:
*OneSignal currently does not engage in automated decision-making or profiling.
Personal Information from Client
If you make a request relating to personal information that we process on behalf of a Client, you will need to make the request directly with our Client unless our Client has authorized us to respond directly to you.
If you wish to exercise the rights above, contact us at Privacy@OneSignal.com .
If you wish to withdraw your consent to the processing of your personal information, the withdrawal will not affect the lawfulness of any processing we conducted prior to your withdrawal, nor will it affect processing of your personal information conducted in reliance on other legal grounds other than consent.
You have the right to complain to a data protection authority about our collection and use of your personal information. For more information, please contact your local supervisory authority.
Privacy Notice for California, the United Kingdom, and Singapore Company Workforce
This Privacy Notice for California, the United Kingdom, and Singapore Company Workforce (“ Workforce Notice ”) applies solely to employees, controlling owners, directors, officers, independent contractors, and medical staff (if any) of OneSignal who are California, United Kingdom or Singapore residents (“you” or the “ Company Workforce ”). California, the United Kingdom, and Singapore job applicants can review our careers privacy policy here: https://onesignal.com/job-privacy .
Information We Collect from Company Workforce
We collect the following categories of personal information from our Company Workforce:
We collect the above examples of sensitive personal information from our Company Workforce. We use this sensitive information for the purposes set forth in “ Use of Personal Information ” below. We do not use sensitive information for the purpose of inferring characteristics about you. We do not sell your sensitive information, and we do not process or otherwise disclose sensitive information for the purpose of behavioral advertising.
These are the categories of sources of your personal information that we collect:
We may use the personal information of the Company Workforce for the following purposes:
Disclosing Personal Information
We disclose the above categories of personal information to the following categories of third parties:
No Sale of Personal Information and No Sharing Personal Information for Cross-Context Behavioral Advertising
We do not sell personal information. We do not share personal information to other companies for their cross-context behavioral advertising purposes. “Sell” and “share” are defined under the CCPA.
Your rights may include the following:
Additional rights that are not applicable are not listed above because OneSignal is not engaged in such activities (e.g., selling, sharing for cross context behavioral advertising, targeted advertising, and profiling).
*Exercising these rights may not affect the lawfulness of certain processing that we are required to do to comply with applicable law.
Exercising Your California, United Kingdom, and Singapore Rights
To exercise the rights described above, please submit a verifiable consumer request as follows:
Only you, or someone legally authorized to act on your behalf, may make a verifiable consumer request related to your personal information. You may also make a verifiable consumer request on behalf of your minor child.
We cannot respond to your request or provide you with personal information if we cannot verify your identity or authority to make the request and confirm the personal information relates to you.
We will only use personal information provided in a verifiable consumer request to verify the requestor's identity or authority to make the request.
We collect the above examples of sensitive personal information from our Company Workforce. We use this sensitive information for the purposes set forth in “Use of Personal Information ” below. We do not use sensitive information for the purpose of inferring characteristics about you. We do not sell your sensitive information, and we do not process or otherwise disclose sensitive information for the purpose of behavioral advertising.
These are the categories of sources of your personal information that we collect:
We may use the personal information of the Company Workforce for the following purposes:
Disclosing Personal Information
We disclose the above categories of personal information to the following categories of third parties:
No Sale of Personal Information and No Sharing Personal Information for Cross-Context Behavioral Advertising
We do not sell personal information. We do not share personal information to other companies for their cross-context behavioral advertising purposes. “Sell” and “share” are defined under the CCPA.
Your rights may include the following:
Additional rights that are not applicable are not listed above because OneSignal is not engaged in such activities (e.g., selling, sharing for cross context behavioral advertising, targeted advertising, and profiling).
*Exercising these rights may not affect the lawfulness of certain processing that we are required to do to comply with applicable law.
Exercising Your California, United Kingdom, and Singapore Rights
To exercise the rights described above, please submit a verifiable consumer request as follows:
Only you, or someone legally authorized to act on your behalf, may make a verifiable consumer request related to your personal information. You may also make a verifiable consumer request on behalf of your minor child.
We cannot respond to your request or provide you with personal information if we cannot verify your identity or authority to make the request and confirm the personal information relates to you.
We will only use personal information provided in a verifiable consumer request to verify the requestor's identity or authority to make the request.
| Category | Examples of information collected |
|---|---|
| Identifiers. | A real name, alias, postal address, unique personal identifier, online identifier, Internet Protocol address, email address, account name, Social Security number (or local equivalent), driver’s license number, passport number, visa information, or other similar identifiers. |
| Personal information categories listed in the California Customer Records statute (Cal. Civ. Code § 1798.80(e)). | A name, signature, Social Security number, physical characteristics or description, address, telephone number, passport number, driver’s license or state identification card number, insurance policy number, education, employment, employment history, bank account number, credit card number, debit card number, or any other financial information, medical information, or health insurance information. |
| Protected classification characteristics under California or federal law. | Age (40 years or older), race, national origin, medical condition, disability, gender, sexual orientation, veteran or military status. |
| Internet or other similar network activity. | Browsing history, search history, information on a consumer’s interaction with a website or application. |
| Geolocation data. | Physical location. |
| Audio and electronic data. | Recordings of virtual meetings, electronic communications, and recordings from security cameras on office premises. |
| Professional or employment-related information. | Current or past job history, resume information, or performance evaluations. |
| Inferences drawn from other personal information. | Profile reflecting a person’s intelligence, abilities, and aptitudes. |
| Sensitive personal information. | Social security number, driver’s license, passport number, company account login, financial account information, precise geolocation, race or ethnic origin, citizenship, immigration status, contents of emails. |
We collect the above examples of sensitive personal information from our Company Workforce. We use this sensitive information for the purposes set forth in “ Use of Personal Information ” below. We do not use sensitive information for the purpose of inferring characteristics about you. We do not sell your sensitive information, and we do not process or otherwise disclose sensitive information for the purpose of behavioral advertising.
These are the categories of sources of your personal information that we collect:
We may use the personal information of the Company Workforce for the following purposes:
Disclosing Personal Information
We disclose the above categories of personal information to the following categories of third parties:
No Sale of Personal Information and No Sharing Personal Information for Cross-Context Behavioral Advertising
We do not sell personal information. We do not share personal information to other companies for their cross-context behavioral advertising purposes. “Sell” and “share” are defined under the CCPA.
Your rights may include the following:
Additional rights that are not applicable are not listed above because OneSignal is not engaged in such activities (e.g., selling, sharing for cross context behavioral advertising, targeted advertising, and profiling).
*Exercising these rights may not affect the lawfulness of certain processing that we are required to do to comply with applicable law.
Exercising Your California, United Kingdom, and Singapore Rights
To exercise the rights described above, please submit a verifiable consumer request as follows:
Only you, or someone legally authorized to act on your behalf, may make a verifiable consumer request related to your personal information. You may also make a verifiable consumer request on behalf of your minor child.
We cannot respond to your request or provide you with personal information if we cannot verify your identity or authority to make the request and confirm the personal information relates to you.
We will only use personal information provided in a verifiable consumer request to verify the requestor's identity or authority to make the request.