This Policy is effective from April 01, 2021. SGW Global receives requests from users and government agencies to disclose data other than in the ordinary operation and provision of the Services. This Data Request Policy outlines SGW Global’s procedures and policies for responding to such requests for Customer Data.

 

DEFINITIONS

Any capitalized terms used in this Data Request Policy that are not defined will have the meaning set forth in the Terms of Service. In the event of any inconsistency between the provisions of this Data Request Policy and the Terms of Service or written agreement with Customer, as the case may be, the Terms of Service or written agreement will control.

 

REQUESTS FOR CUSTOMER DATA BY INDIVIDUALS

Third parties seeking access to Customer Data should contact the Customer regarding such requests. The Customer controls the Customer Data and generally gets to decide what to do with all Customer Data.

 

REQUESTS FOR CUSTOMER DATA LEGAL AUTHORITY

Except as expressly permitted by the Terms of Service, or in cases of emergency to avoid death or physical harm to individuals, SGW Global will only disclose Customer Data in response to valid and binding compulsory legal process. SGW Global requires a search warrant issued by a court of competent jurisdiction (a federal court or a court of general criminal jurisdiction of a State authorized by the law of that State to issue search warrants) to disclose Customer Data.

All requests by courts, government agencies, or parties involved in litigation for Customer Data disclosures should be sent to motorola.privacy@sgwglobal.com and include the following information: (a) the requesting party, (b) the relevant criminal or civil matter, and (c) a description of the specific Customer Data being requested, including the relevant Customer’s name and relevant Authorized User’s name (if applicable), and type of data sought.

Requests should be prepared and served in accordance with applicable law. All requests should be narrow and focused on the specific Customer Data sought. All requests will be construed narrowly by SGW Global, so please do not submit unnecessarily broad requests. If legally permitted, Customer will be responsible for any costs arising from SGW Global’s response to such requests.

SGW Global is committed to the importance of trust and transparency for the benefit of our Customers and does not voluntarily provide governments with access to any data about users for surveillance purposes.

 

CUSTOMER NOTICE

SGW Global will notify Customer before disclosing any of Customer’s Customer Data so that the Customer may seek protection from such disclosure, unless SGW Global is prohibited from doing so or there is a clear indication of illegal conduct or risk of harm to people or property associated with the use of such Customer Data. If SGW Global is legally prohibited from notifying Customer prior to disclosure, SGW Global will take reasonable steps to notify Customer of the demand after the nondisclosure requirement expires.

 

DOMESTICATION AND INTERNATIONAL REQUESTS

SGW Global requires that any individual issuing legal process or legal information requests (e.g., discovery requests, warrants, or subpoenas) to SGW Global properly domesticate the process or request and serve SGW Global in a jurisdiction where it is resident or has a registered agent to accept service on its behalf. SGW Global does not accept legal process or requests directly from law enforcement entities outside People’s Republic of China. Foreign law enforcement agencies should proceed through a Mutual Legal Assistance Treaty or other diplomatic or legal means to obtain data through a court where SGW Global is located.