Inizio Group Limited
and each of its subsidiaries
(together, the Inizio Group)
This Privacy Shield Policy (“Policy”) describes how Inizio group and its subsidiaries and affiliates in the United States (“US”) (“Company,” “we,” or “us”) collect, use, and disclose certain personally identifiable information that we receive in the US from the European Economic Area (“EEA Personal Data”). We recognize that the EEA has established strict protections regarding the handling of EEA Personal Data, including requirements to provide adequate protection for EEA Personal Data transferred outside of the EEA.
Although Inizio does not rely on the EU-US Privacy Shield as a transfer tool under the GDPR anymore, for as long as we are self-certified to the Privacy Shield, we will process Personal Data from the EU and Switzerland in compliance with the Privacy Shield Principles (which include Notice, Choice, Accountability for Onward Transfer, Security, Data Integrity and Purpose Limitation, Access, Recourse, Enforcement and Liability) as an additional contractual commitment to our customers. More information on Inizio’s Privacy Shield Certification (EU-U.S. and Swiss-U.S.) is included in this document.
This Policy applies to UDG Healthcare US Holdings, Inc element of the Inizio group, and all its US affiliated entities (See appendix A) that receive personal information from the EU who commit to comply with the EU-U.S. Privacy Shield Framework and the Swiss-U.S. Privacy Shield Framework as set forth by the U.S. Department of Commerce regarding the collection, use, and retention of personal information transferred from the European Union and Switzerland to the U.S.
UDG Healthcare US Holdings, Inc and all its US affiliated entities have self-certified to the U.S. Department of Commerce that they adhere to the Privacy Shield Principles of notice, choice, accountability for onward transfer, security, data integrity and purpose limitation, access, recourse, enforcement, and liability for onward transfer to third parties, the Privacy Shield Supplemental Principles and the Swiss-U.S. Privacy Shield Principles. If there is any conflict between the terms of this Privacy Policy and the Privacy Shield Principles, the Privacy Shield Principles shall govern. To learn more about the Privacy Shield program visit https://www.privacyshield.gov/ and to view Inizio’s certifications, please visit https://www.privacyshield.gov/list.
This Policy supplements our Website Privacy Policy located at https://www.inizio.health/privacy-policy/, and unless specifically defined in this Policy, the terms in this Policy have the same meaning as the Website Privacy Policy.
We comply with the Privacy Shield Principles for all onward transfers of personal data from the EU and Switzerland, including the onward transfer liability provisions.
Personal Data Collection and Use
Our Website Privacy Notice located at https://www.inizio.health/privacy-policy/ describes the categories of EEA Personal Data that we may receive in the US as well as the purposes for which we use that EEA Personal Data. We process EEA Personal Data for the following purposes: to receive and process information about existing and potential corporate customers, clients, suppliers, business partners, job applicants and employees. We will only process EEA Personal Data in ways that are compatible with the purpose that we collected it for, or for purposes the individual later authorizes. Before we use your EEA Personal Data for a purpose that is materially different than the purpose we collected it for or that you later authorized, we will provide you with the opportunity to opt out. We maintain reasonable procedures to help ensure that EEA Personal Data is reliable for its intended use, accurate, complete, and current.
Data Transfers to Third Parties
Third-Party Agents or Service Providers. We may transfer EEA Personal Data to our third-party agents or service providers who perform functions on our behalf as described in our Website Privacy Notice. Where required by the Privacy Shield, we enter into written agreements with those third-party agents and service providers requiring them to provide the same level of protection the Privacy Shield requires and limiting their use of the data to the specified services provided on our behalf. We take reasonable and appropriate steps to ensure that third-party agents and service providers process EEA Personal Data in accordance with our Privacy Shield obligations and to stop and remediate any unauthorized processing. Under certain circumstances, we may remain liable for the acts of our third-party agents or service providers who perform services on our behalf for their handling of EEA Personal Data that we transfer to them.
Disclosures for National Security or Law Enforcement. Under certain circumstances, we may be required to disclose your EEA Personal Data in response to lawful requests by public authorities, including to meet national security or law enforcement requirements.
Security
We maintain reasonable and appropriate security measures to protect EEA Personal Data from loss, misuse, unauthorized access, disclosure, alteration, or destruction in accordance with the Privacy Shield.
Our employees are trained in-line with and required to adhere to the principles of the applicable Data Protection laws and Privacy Shield Principles in their country of employment.
Access Rights
You may have the right to access the EEA Personal Data that we hold about you and to request that we correct, amend, or delete it if it is inaccurate or processed in violation of the Privacy Shield. These access rights may not apply in some cases, including where providing access is unreasonably burdensome or expensive under the circumstances or where it would violate the rights of someone other than the individual requesting access. If you would like to request access to, correction, amendment, or deletion of your EEA Personal Data, you can submit a written request to the contact information provided below. We may request specific information from you to confirm your identity. In some circumstances we may charge a reasonable fee for access to your information.
Choice/Opt-Out
Should you no longer wish to receive information or future communications about our relevant services, please contact us using one of the following options. You may send your request via email stating your desire to opt out of further communications to privacy@inizio.health or alternatively you may write to us at:
Data Protection Officer
Inizio
8th Floor
Holborn Gate
26 Southampton Buildings
London, WC2A 1AN
We also provide an opt-out option with all marketing email communications by either clicking the unsubscribe link at the bottom of the email or replying to the email stating your request to opt-out of further communications. If we intend to use personally identifiable information in a manner different from that stated within this Privacy Policy or as otherwise previously notified, we will notify all affected users; users will be able to opt out of any new use of their personal information.
Contact Us, Questions or Complaints
You can direct any questions or complaints about the use or disclosure of your EEA Personal Data to us at: privacy@inizio.health or alternatively you can write to us at:
Data Protection Officer
Inizio
8th Floor
Holborn Gate
26 Southampton Buildings
London, WC2A 1AN
In compliance with data privacy laws and the Privacy Shield Principles, we commit to resolve complaints about your privacy and our collection or use of your personal information.
We will investigate and attempt to resolve any complaints or disputes regarding the use or disclosure of your EEA Personal Data within 45 days of receiving your complaint.
We have further committed to refer unresolved privacy complaints under the Privacy Shield Principles to an independent dispute resolution mechanism, the International Centre for Dispute Resolution, the international division of the American Arbitration Association (ICDR/AAA). If you do not receive timely acknowledgement of your privacy complaint from us, or if we have not addressed your complaint to your satisfaction, please contact or visit the ICDR/AAA web site at https://go.adr.org/privacyshield.html for more information or to file a complaint. EU and Swiss complainants may invoke binding arbitration under the Privacy Shield Principles if a complaint has not been resolved by Inizio or by other recourse and enforcement mechanisms. Inizio’s US businesses are also subject to the investigatory and enforcement powers of the U.S. Federal Trade Commission.
Inizio has further committed to cooperate with the panel established by the EU data protection authorities (DPAs) and the Swiss Federal Data Protection and Information Commissioner (FDPIC) with regard to unresolved Privacy Shield complaints concerning human resources data transferred from the EU and Switzerland in the context of the employment relationship. If you have a complaint relating to Human Resources data transferred from Inizio’s EU businesses that cannot be resolved by Inizio’s internal dispute resolution process, you may refer your complaint to the Data Protection Panel secretariat established by the EU Data Protection Authorities (DPA) at the following address: European Commission, Directorate General Justice, Data Protection Panel, B-1049 Brussels, Belgium. Telephone: (32-2) 299.11.11; Fax (32-2) 298.80.94. https://ec.europa.eu/info/departments/justice-and-consumers_en#contact
Binding Arbitration You may have the option to select binding arbitration for the resolution of your complaint under certain circumstances, provided you have taken the following steps:
(1) raised your compliant directly with us and provided us the opportunity to resolve the issue;
(2) made use of the independent dispute resolution mechanism identified above; and
(3) raised the issue through the relevant data protection authority and allowed the US Department of Commerce an opportunity to resolve the complaint at no cost to you. For more information on binding arbitration, see US Department of Commerce’s Privacy Shield Framework: Annex I (Binding Arbitration).
Contact Us
If you have any questions about this Policy or would like to request access to your EEA Personal Data, please contact us as follows: privacy@inizio.health or you can write to us at:
Data Protection Officer
8th Floor
Holborn Gate
26 Southampton Buildings
London, WC2A 1AN
Changes To This Policy
We reserve the right to amend this Policy from time to time consistent with the Privacy Shield’s requirements.
Effective Date: 18 May 2018
Last modified: 23 September 2022
Appendix A
US affiliated entities (Covered entities)
- Ashfield Health, LLC
- Ashfield Healthcare LLC
- Ashfield Market Access LLC
- Ashfield Meetings and Events Inc
- Ballina Pharma Inc
- Mind+Matter, LLC
- Canale Communications, Inc
- Create Group NYC LLC
- MicroMass Communications Inc
- Putnam Associates, LLC.
- Putnam Healthcare, Inc
- Scientific Connexions Inc
- SmartAnalyst Inc
- STEM Healthcare U.S. Inc
- Strategic Pharma Solutions Inc
- SynopiaRx Inc
- Vynamic LLC
- Watermeadow Consulting USA Inc
- AH Services, Inc.
- Ashbourne Healthcare, Inc.
- Nuvera, LLC
- Bruno Healthcare Inc
- Propensity4 Smart Data LLC
- Leitrim Healthcare Inc
- Global Medical Education Group Inc