
CoffeeBean Technology and GDPR
CertReports found no public GDPR evidence for CoffeeBean Technology as of unknown date. This does not mean the vendor is non-compliant. It means CertReports found no public evidence at the last check.
Evidence
- Kind
- listing
- Issued or listed
- 21 Sep 2017
- Scope
- Personal Data We Collect via our solution the Social-ID and How We Use It. Social-ID is deployed on our business Client’s digital properties for purposes of creating and maintaining customer identity information relating to the Client’s End Users who interact with the digital properties. There are two ways that we collect information about End Users: (A) we collect it when End Users use the Social-ID service, and (B) we collect it automatically from the End User’s browser when End User visits sites when Social-ID is enabled. A - Information Collected when End Users use the Social ID installed at Client’s Digital Properties. Clients use the Social-ID to collect certain information about End Users when End Users interact with the Social-ID product that is activated on a Client digital property. For example, Social-ID allows End Users to login to a Client digital property by using a social network account, which will then enable Client to receive certain End User information from the social network site in accordance with that site’s privacy policy and the End User’s privacy settings with the social network site. Since we do not have direct control over the third party social network site’s policies or practices, we are not responsible for the privacy practices of those sites. We recommend and encourage that you always review the privacy policies of these sites. The information that we collect on behalf of our Client changes accordingly to what Social-ID services are used. B - Information Automatically Collected from End User’s Browser. Social-ID collects information about the End User’s browsing activity, which may include but is not limited to the End User browser type and language, IP addresses, referring pages, operating system, date and time and metadata information about the site, such as title, keywords, content and sections, in order to feed site usage analytics, analyze trends and provide personalization. Social-ID may also collect unique browser identifiers such as web push notification endpoints and keys used to provide engagement services. End User related data can be both persistent or session stored in the browser for user tracking and caching purposes. Social-ID collects and stores data by using cookies, local storage or similar technologies. End User can control the use of these technologies at the individual browser settings, but if you disable them you may block or limit some services provided by Social-ID. C - Use of Information Collected about End Users and Disclosures to Third Parties. All information collected about End Users via Social-ID is at the direction of our Clients, and Company does not directly engage with End Users. All data collected about End Users (“Client Data”) is disclosed to Client, belongs to Client, and not to Company; however, Company retains the right to use Client Data in an anonymized, aggregated fashion for its own internal development – improve the product, and for marketing and advertising purposes, not to compete with client. Company may use Client Data to provide reports to its Clients, and such information may include personally identifiable information about End Users. Company will store such Client Data for as long as necessary or appropriate to provide services to Client, or to comply with applicable laws or to enforce its agreements. Company will not disclose any End User Personally Identifiable Information collected on behalf of Clients to any third parties, except to the extent necessary: To protect ourselves from liability, To respond to a court order or subpoena, to comply with an investigation, or to comply with applicable laws or rules, or Because Clients own the Client Data, the Client controls its use, storage disclosure, and deletion, and Company merely follows the instructions and guidance of Client. If you are an individual who wants to modify or delete personal information which Company may be storing on behalf of Client, you must contact the Client directly.
| Source | Captured | Quote | Links |
|---|---|---|---|
Data Privacy Framework list Official registry · HTTP 200 | 17 Sep 2026 | CoffeeBean Technology: Inactive | Live pagesha256 9e4ceb065c |
What GDPR means, and what it does not
"GDPR compliant" is a claim, not a certification. The verifiable facts are a public DPA, SCC usage, an EU representative, data residency options and a Data Privacy Framework listing.
Read the GDPR guide and browse all vendors with evidenceQuestions buyers ask
Is CoffeeBean Technology GDPR compliant?
There is no GDPR certification in general use. The verifiable facts are a public data processing agreement, standard contractual clauses, an EU representative and a Data Privacy Framework listing. See the legal artefacts and the DPF row on this page, each with its capture date.
How does CertReports verify this?
Every state carries a capture date, a source and a snapshot link. Registry rows come from the official registry data; vendor statements come from the vendor’s own page or trust centre; nothing is inferred. Vendors can dispute any row and corrections ship within two business days.
Alternatives with GDPR evidence
Similar vendors (shared product tags or the Identity and access category) whose GDPR row is verified or vendor-stated, ranked by similarity.