Last updated: 23 June 2026 · autovella.com
Template notice. This document is a starting template for the Autovella website and is not legal advice. Have it reviewed and tailored by qualified counsel for your jurisdiction (GDPR, UK GDPR, India DPDP Act, CCPA, etc.) before relying on it.
The terms under which Autovella processes personal data on behalf of customers (controllers).
For customer workspace data, the customer is the data controller and Autovella is the data processor.
Autovella processes personal data only on documented instructions from the customer to provide the service.
Personnel with access to personal data are bound by confidentiality obligations.
Autovella maintains technical and organizational measures including encryption, access controls, monitoring and audit logs, see our Security page.
Autovella engages vetted sub-processors under equivalent data-protection terms and maintains a current list available on request.
Autovella assists the customer in responding to data-subject requests where feasible.
Transfers rely on appropriate safeguards such as Standard Contractual Clauses.
Autovella notifies affected customers without undue delay after becoming aware of a personal-data breach.
On termination, Autovella deletes or returns personal data per the customer’s instruction and applicable law.
Questions about this policy? Email sales@autovella.com or visit our contact page.