To use Matterport GDPR compliant you have to follow these instructions:
Services & integrations
Since the use of Matterport can potentially transfer data to a third country without an adequacy decision, processing requires the user's consent (Art. 49(1) a GDPR), whereby the risks of data transfer must be pointed out so that the user can make a well-informed decision.
Privacy Statement for the Service Matterport
When accessing some sub-services of our website, additional personal services are processed. technical connection data of the server access (IP address, date, time, requested page, browser information)data for creating usage statisticsdata about the use of the website and the logging of clicks on individual elements. Delivery of content provided by third parties. Your consent according to Art. 6 (1) a GDPR. Matterport Inc., 352 E. Java Drive, Sunnyvale, CA 94089, United States of America (https://matterport.com). Matterport Inc. Your consent according to Art. 6 (1) a GDPR. The data is transmitted on the basis of your consent in accordance with Art. 6 Para. 1 lit a in conjunction with Art. 49 Para. 1 lit a GDPR. Matterport Inc.: https://matterport.com/de/node/44. is variable and ends when the processing purpose no longer applies.
In addition to the above information, the data protection information must also contain the mandatory information from Art. 13 or 14 GDPR: Name and contact details of the controller, if necessary the contact details of the data protection officer, the purposes for which the personal data are to be processed, the legitimate interests, if the processing is based on Article 6 (1) f GDPR, the duration of the processing, information on the rights of the data subjects including the right to lodge a complaint with a supervisory authority, the possibility of simply revoking consent given, and information as to whether the Provision of the data is required by law or contract or what the possible consequences of non-provision would be. In the event that the data is used for automated decision-making, including profiling, meaningful information about the logic involved and the scope and impact on the data subject must be provided. The processing of the data must also be documented in the list of processing activities in accordance with Art. 30 GDPR. The information required for this can already be found in the privacy statement, which can be created from the previous information.
Preconfigured services & integrations