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U.S. Customers Contact Information


The Information has not been obtained directly from the data subjects and the data subjects have not opted in or otherwise expressly consented to having their information sold for marketing purposes.  D&B represents that the Information has been collected in accordance with applicable local, state, federal or international laws, rules or regulations related to the collection of Contact Information.  D&B does not guarantee that the Information meets the requirements of any applicable local, state, federal or international law, rule or regulation related to the usage of "Contact Information" (e.g. names, phone and facsimile numbers, wireless devices, e-mail addresses and physical addresses, and social media handles, usernames or IDs), including, but not limited to, wireless suppression lists, wireless domain lists, commercial e-mail laws, telemarketing laws and "Do-Not-Call" lists.  D&B shall not be liable for any damages, losses, costs, claims or expenses with respect to any Data Privacy legal or compliance violation arising out of or related to Customer's or any related parties' use of Information licensed under this Order.  Customer will use the Contact Information only in compliance with all applicable local, state, federal and international laws, rules, regulations and requirements, including, but not limited to, those laws and regulations regarding telemarketing, customer solicitation (including fax advertising, wireless advertising and e-mail solicitation), data protection and privacy as applicable to Customer’s use of the Contact Information.  Customer shall use reasonable efforts to communicate to D&B all complaints, inquiries and opt-outs ("Requests") made by any Data Subject with respect to the Information.  "Data Subject" shall mean an individual person who is the subject of, represented within or identifiable by the Information.  For purposes of clarification, Customer shall only provide notice to D&B if a Data Subject requests that Customer identify the original source of the database.  Customer shall not need to inform D&B of Data Subject requests to be removed from Customer's own marketing campaigns.  D&B reserves the right to substitute and replace the sources for the Contact Information provided under this Order.


Non-U.S. Customers Contact Information


The Information has not been obtained directly from the data subjects and the data subjects have not opted in or otherwise expressly consented to having their information sold for marketing purposes. D&B represents that the Information has been collected in accordance with applicable local, state, federal or international laws, rules or regulations related to the collection of Contact Information. D&B does not guarantee that the Information meets the requirements of the EU Data Protection Directive 95/46/EU or any other applicable local, state, federal or international law, rule or regulation related to the usage of "Contact Information" (e.g. names, phone and facsimile numbers, wireless devices, e-mail addresses and physical addresses, and social media handles, usernames or IDs), including, but not limited to, wireless suppression lists, wireless domain lists, commercial e-mail laws, telemarketing laws and "Do-Not-Call" lists, including the OFCOM regulations. D&B shall not be liable for any damages, losses, costs, claims or expenses with respect to any data protection breach or data privacy, legal or compliance violation arising out of or related to Customer's or any related parties' use of Information licensed under this Order.


Customer will use the Contact Information only in compliance with all applicable local, state, federal and international laws, rules, regulations and requirements, including those of the EU and including, but not limited to, those laws and regulations regarding telemarketing, customer solicitation (including fax advertising, wireless advertising and e-mail solicitation), data protection and privacy. Customer shall make it clear to all Data Subjects upon Customer's initial use of the Information that the Information may be used for direct marketing purposes and Customer must offer each Data Subject the right to object to such use as required by the EU Data Protection Directive 95/46/EU and each EU member state, as applicable, and/or any other applicable local, state, federal or international law, rule, regulation or requirement. Customers shall use good faith efforts to communicate to D&B all complaints, inquiries and objections ("Requests") made by any Data Subject with respect to the Information. "Data Subject" shall mean an individual person who is the subject of, represented within or identifiable by the Information. For purposes of clarification, Customer shall only provide notice to D&B if a Data Subject requests that Customer identify the original source of the database. Customer shall not need to inform D&B of Data Subject requests to be removed from Customer's own marketing campaigns. D&B reserves the right to substitute and replace the sources for the Contact Information provided under this Order.


The General EU Data Protection Directive divides the universe of actors who process Data into "Data Controllers" and "Data Processors," which are defined in Article 2 of the Directive as follows:


a. Data Controller shall mean the natural or legal person, public authority, agency or any other body which alone or jointly with others determines the purposes and means of the processing of the data. For purposes of this Order, Customer shall be deemed the Data Controller as applicable under EU law.


b. Data Processor shall mean a natural or legal person, public authority, agency or any other body which processes data on behalf of the Data Controller. For purposes of this Order, D&B shall be considered the Data Processor as applicable under EU law.


c. Customer undertakes at all times to comply fully with all relevant data protection and privacy laws in its capacity as Data Controller, as applicable under EU law. D&B undertakes at all times to comply fully with all relevant data protection and privacy laws in its capacity as Data Processor, as applicable under EU law.


When EU law does not apply, Customer shall use the Information only in compliance with all applicable local, state, federal and international laws, rules, regulations and requirements, as stated above.


Updated November 22, 2013