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Sopheon

GDPR evidence

sopheon.comLast verified 17 Sep 2026
GDPR mark, CertReports state No public evidenceNo public evidence

Sopheon and GDPR

CertReports found no public GDPR evidence for Sopheon 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

ExpiredInactive
as of 17 Sep 2026 · confidence 100%
Kind
listing
Scope
Data Collected Sopheon hosts and processes Customer Data, including any Personal Data contained therein, at the direction of and pursuant to the instructions of Sopheon’s Customers. Sopheon also collects several types of information from our Customers, including information and correspondence our Customers and Users submit to us in connection with hosted applications, consulting services or other requests related to our products and services. The information collected may include geographic location data and information regarding Users’ Devices and OS identification, login credentials, language and time zone. Further information can be found at https://www.sopheon.com/privacy-policy. In addition, Sopheon collects general information about its customers and vendors, including a company name and address, bank information, and the representative’s contact information for billing and contracting purposes. In addition, Sopheon collects information about its staff in the course of employment and operations. Further information can be found in the Employee Data Privacy Notice available to all employees on the Corporate Intranet. Third Parties and Accountability for Onward Transfer In the event we transfer Personal Data covered by this DPF Policy to a third party acting as a controller, we will do so consistent with any notice provided to Data Subjects and any consent they have given, and only if the third party has given us contractual assurances that it will (i) process the Personal Data for limited and specified purposes consistent with any consent provided by the Data Subjects, (ii) provide at least the same level of protection as is required by the DPF Principles and notify us if it makes a determination that it cannot do so; and (iii) cease processing of the Personal Data or take other reasonable and appropriate steps to remediate if it makes such a determination. If Sopheon has knowledge that a third party acting as a controller is processing Personal Data covered by this DPF Policy in a way that is contrary to the DPF Principles, Sopheon will take reasonable steps to prevent or stop such processing. With respect to our agents, we will transfer only the Personal Data covered by this DPF Policy needed for an agent to deliver to Sopheon the requested product or service. Furthermore, we will (i) permit the agent to process such Personal Data only for limited and specified purposes; (ii) require the agent to provide at least the same level of privacy protection as is required by the DPF Principles; (iii) take reasonable and appropriate steps to ensure that the agent effectively processes the Personal Data transferred in a manner consistent with Sopheon’s obligations under the DPF Principles; and (iv) require the agent to notify Sopheon if it makes a determination that it can no longer meet its obligation to provide the same level of protection as is required by the DPF Principles. Upon receiving notice from an agent that it can no longer meet its obligation to provide the same level of protection as is required by the DPF Principles, we will take reasonable and appropriate steps to stop and remediate unauthorized processing. Sopheon will provide a summary or representative copy of the relevant privacy provisions of its contract with that agent to the Department of Commerce upon request. Sopheon remains liable under the DPF Principles if an agent processes Personal Data covered by this DPF Policy in a manner inconsistent with the Principles, except where Sopheon is not responsible for the event giving rise to the damage.
SourceCapturedQuoteLinks
Data Privacy Framework list
Official registry · HTTP 200
17 Sep 2026Sopheon Corporation: Inactive
Live pagesha256 106d32cdcc
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 evidence

Questions buyers ask

Is Sopheon 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.

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