Privacy Policy
1. Introduction and scope
JAMBO LABS LTD operates https://jambolabs.work and provides smart home app development, home automation software, IoT smart home solutions, smart device control apps, connected home platforms and related professional services to clients in the United Kingdom. This obligation is interpreted in light of UK data protection practice and the legitimate expectations of individuals who interact with smart home software providers operating from the United Kingdom.
This Privacy Policy explains how we collect, use, store, share and protect personal data when you visit our website, submit a field intake form, communicate by telephone or email, or engage our services. Our operating address is Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom. Nothing in this section limits any non-excludable right under applicable law of England and Wales, including rights that cannot be waived by contract.
We are the controller of personal data processed through the website and related business communications unless a written agreement states that we act as a processor for a client. Data protection enquiries should be sent to the published contact email. Where conflict arises between summary language on marketing pages and this legal text, this legal text prevails for the subject matter it covers without exception.
Legal bases under the UK GDPR and Data Protection Act 2018 include performance of a contract, pre-contractual steps, legitimate interests that are not overridden by your rights, legal obligations and consent where specifically requested. Records relating to this section may be retained for as long as necessary to demonstrate compliance, resolve disputes, meet accounting duties or satisfy regulatory expectations applicable to a United Kingdom company.
2. Identity of the controller
Categories of personal data may include identity data, contact data, organisation details, project descriptions you submit, technical data such as IP address and browser type, correspondence, billing administration data for commercial engagements and other information you choose to provide. If a provision is held unenforceable by a competent authority, the remaining provisions continue in force to the maximum extent permitted and the invalid portion is modified to the minimum degree needed.
We collect data directly from you via forms, email and calls. We may also receive data from authorised colleagues, proportionate publicly available business sources and service providers supporting hosting, analytics and communications under appropriate agreements. Communications regarding this section should be directed to tech@jambolabs.work or to Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom with a clear subject line identifying the legal topic.
Purposes include responding to enquiries, qualifying engagements, delivering contracted software services, administering accounts, improving website security and performance, complying with accounting duties, establishing legal claims and sending service updates for active relationships. Operational teams within JAMBO LABS LTD are instructed to treat these requirements as mandatory field constraints rather than optional guidance during delivery of smart home app development services.
We do not sell personal data. We share data with processors for hosting, collaboration, accounting and security monitoring only as needed, with professional advisers under confidentiality, with authorities when legally required and with successors in corporate transactions under safeguards. Cross-border transfers, if any, are assessed against UK adequacy decisions, international data transfer agreements, standard contractual clauses or other lawful transfer tools then available under UK law.
3. Categories of personal data
Retention follows purpose. Enquiry records are typically kept up to twenty-four months after last meaningful contact. Contract and billing records follow UK tax and commercial retention, often six years or longer. Security logs use shorter windows unless an incident requires extension. Security measures are reviewed periodically and adjusted when material changes occur in threat models relevant to IoT platforms, mobile applications and cloud-hosted control services.
We implement technical and organisational measures against unauthorised access, alteration, disclosure or destruction, including access control, encryption in transit where appropriate, staff awareness, vendor diligence and incident response. Residual risk is managed to a level appropriate for a professional software firm. Individuals may request clarification of how a particular processing activity maps to the purposes described herein and will receive a response within statutory timeframes where a formal rights request is made.
You have rights of access, rectification, erasure, restriction, objection, portability where applicable and complaint to the Information Commissioner's Office. We may verify identity before fulfilling requests. Commercial clients remain responsible for providing accurate instructions regarding end-user personal data processed inside applications that Supplier builds under a processor role.
Our website and services target business users and are not intended for children. We do not knowingly collect children's data through website marketing and will delete such data if notified. Technical descriptions of magnetic field metaphors used on the website are branding devices and do not alter legal duties stated in this document.
Website enquiry routing does not constitute solely automated decision-making with legal or similarly significant effects. If that changes, we will provide required information and safeguards. Where a statement of work sets stricter confidentiality or security terms, those stricter terms control for that engagement to the extent of any conflict.
4. Sources of data
International transfers outside the United Kingdom are assessed case by case using lawful mechanisms such as adequacy regulations or standard contractual clauses with transfer risk assessments when required. Time periods expressed in business days mean days other than Saturday, Sunday and public holidays in England and Wales unless the parties agree otherwise in writing.
We may update this Privacy Policy for law, technology or operational changes. The effective date will be revised and material changes may be communicated through account channels for existing clients. References to smart living technology, connected home platforms and home automation software include related consulting, integration and stabilisation services supplied by the company.
Third-party websites linked from https://jambolabs.work have their own policies. Review those policies before providing personal data to third parties. This obligation is interpreted in light of UK data protection practice and the legitimate expectations of individuals who interact with smart home software providers operating from the United Kingdom.
Marketing messages, if sent, occur only where permitted. You may unsubscribe via message instructions or by contacting us. Transactional contract messages may continue as necessary. Nothing in this section limits any non-excludable right under applicable law of England and Wales, including rights that cannot be waived by contract.
Special category data is not sought through standard website forms. If a project requires such processing inside a client system, it proceeds under documented contractual instructions and lawful conditions. Where conflict arises between summary language on marketing pages and this legal text, this legal text prevails for the subject matter it covers without exception.
5. Purposes and legal bases
Client deliverables may process end-user data within smart home applications. Roles are defined in services agreements and processing schedules. This policy does not replace those terms for end users of client products. Records relating to this section may be retained for as long as necessary to demonstrate compliance, resolve disputes, meet accounting duties or satisfy regulatory expectations applicable to a United Kingdom company.
Employment and recruitment data is processed under separate notices provided during recruitment where required. Physical security logs at premises follow posted site notices when applicable. If a provision is held unenforceable by a competent authority, the remaining provisions continue in force to the maximum extent permitted and the invalid portion is modified to the minimum degree needed.
JAMBO LABS LTD operates https://jambolabs.work and provides smart home app development, home automation software, IoT smart home solutions, smart device control apps, connected home platforms and related professional services to clients in the United Kingdom. Communications regarding this section should be directed to tech@jambolabs.work or to Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom with a clear subject line identifying the legal topic.
This Privacy Policy explains how we collect, use, store, share and protect personal data when you visit our website, submit a field intake form, communicate by telephone or email, or engage our services. Our operating address is Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom. Operational teams within JAMBO LABS LTD are instructed to treat these requirements as mandatory field constraints rather than optional guidance during delivery of smart home app development services.
6. Legitimate interests
We are the controller of personal data processed through the website and related business communications unless a written agreement states that we act as a processor for a client. Data protection enquiries should be sent to the published contact email. Cross-border transfers, if any, are assessed against UK adequacy decisions, international data transfer agreements, standard contractual clauses or other lawful transfer tools then available under UK law.
Legal bases under the UK GDPR and Data Protection Act 2018 include performance of a contract, pre-contractual steps, legitimate interests that are not overridden by your rights, legal obligations and consent where specifically requested. Security measures are reviewed periodically and adjusted when material changes occur in threat models relevant to IoT platforms, mobile applications and cloud-hosted control services.
Categories of personal data may include identity data, contact data, organisation details, project descriptions you submit, technical data such as IP address and browser type, correspondence, billing administration data for commercial engagements and other information you choose to provide. Individuals may request clarification of how a particular processing activity maps to the purposes described herein and will receive a response within statutory timeframes where a formal rights request is made.
We collect data directly from you via forms, email and calls. We may also receive data from authorised colleagues, proportionate publicly available business sources and service providers supporting hosting, analytics and communications under appropriate agreements. Commercial clients remain responsible for providing accurate instructions regarding end-user personal data processed inside applications that Supplier builds under a processor role.
7. Sharing and disclosures
Purposes include responding to enquiries, qualifying engagements, delivering contracted software services, administering accounts, improving website security and performance, complying with accounting duties, establishing legal claims and sending service updates for active relationships. Technical descriptions of magnetic field metaphors used on the website are branding devices and do not alter legal duties stated in this document.
We do not sell personal data. We share data with processors for hosting, collaboration, accounting and security monitoring only as needed, with professional advisers under confidentiality, with authorities when legally required and with successors in corporate transactions under safeguards. Where a statement of work sets stricter confidentiality or security terms, those stricter terms control for that engagement to the extent of any conflict.
Retention follows purpose. Enquiry records are typically kept up to twenty-four months after last meaningful contact. Contract and billing records follow UK tax and commercial retention, often six years or longer. Security logs use shorter windows unless an incident requires extension. Time periods expressed in business days mean days other than Saturday, Sunday and public holidays in England and Wales unless the parties agree otherwise in writing.
We implement technical and organisational measures against unauthorised access, alteration, disclosure or destruction, including access control, encryption in transit where appropriate, staff awareness, vendor diligence and incident response. Residual risk is managed to a level appropriate for a professional software firm. References to smart living technology, connected home platforms and home automation software include related consulting, integration and stabilisation services supplied by the company.
8. International transfers
You have rights of access, rectification, erasure, restriction, objection, portability where applicable and complaint to the Information Commissioner's Office. We may verify identity before fulfilling requests. This obligation is interpreted in light of UK data protection practice and the legitimate expectations of individuals who interact with smart home software providers operating from the United Kingdom.
Our website and services target business users and are not intended for children. We do not knowingly collect children's data through website marketing and will delete such data if notified. Nothing in this section limits any non-excludable right under applicable law of England and Wales, including rights that cannot be waived by contract.
Website enquiry routing does not constitute solely automated decision-making with legal or similarly significant effects. If that changes, we will provide required information and safeguards. Where conflict arises between summary language on marketing pages and this legal text, this legal text prevails for the subject matter it covers without exception.
International transfers outside the United Kingdom are assessed case by case using lawful mechanisms such as adequacy regulations or standard contractual clauses with transfer risk assessments when required. Records relating to this section may be retained for as long as necessary to demonstrate compliance, resolve disputes, meet accounting duties or satisfy regulatory expectations applicable to a United Kingdom company.
We may update this Privacy Policy for law, technology or operational changes. The effective date will be revised and material changes may be communicated through account channels for existing clients. If a provision is held unenforceable by a competent authority, the remaining provisions continue in force to the maximum extent permitted and the invalid portion is modified to the minimum degree needed.
9. Retention
Third-party websites linked from https://jambolabs.work have their own policies. Review those policies before providing personal data to third parties. Communications regarding this section should be directed to tech@jambolabs.work or to Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom with a clear subject line identifying the legal topic.
Marketing messages, if sent, occur only where permitted. You may unsubscribe via message instructions or by contacting us. Transactional contract messages may continue as necessary. Operational teams within JAMBO LABS LTD are instructed to treat these requirements as mandatory field constraints rather than optional guidance during delivery of smart home app development services.
Special category data is not sought through standard website forms. If a project requires such processing inside a client system, it proceeds under documented contractual instructions and lawful conditions. Cross-border transfers, if any, are assessed against UK adequacy decisions, international data transfer agreements, standard contractual clauses or other lawful transfer tools then available under UK law.
Client deliverables may process end-user data within smart home applications. Roles are defined in services agreements and processing schedules. This policy does not replace those terms for end users of client products. Security measures are reviewed periodically and adjusted when material changes occur in threat models relevant to IoT platforms, mobile applications and cloud-hosted control services.
Employment and recruitment data is processed under separate notices provided during recruitment where required. Physical security logs at premises follow posted site notices when applicable. Individuals may request clarification of how a particular processing activity maps to the purposes described herein and will receive a response within statutory timeframes where a formal rights request is made.
10. Security
JAMBO LABS LTD operates https://jambolabs.work and provides smart home app development, home automation software, IoT smart home solutions, smart device control apps, connected home platforms and related professional services to clients in the United Kingdom. Commercial clients remain responsible for providing accurate instructions regarding end-user personal data processed inside applications that Supplier builds under a processor role.
This Privacy Policy explains how we collect, use, store, share and protect personal data when you visit our website, submit a field intake form, communicate by telephone or email, or engage our services. Our operating address is Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom. Technical descriptions of magnetic field metaphors used on the website are branding devices and do not alter legal duties stated in this document.
We are the controller of personal data processed through the website and related business communications unless a written agreement states that we act as a processor for a client. Data protection enquiries should be sent to the published contact email. Where a statement of work sets stricter confidentiality or security terms, those stricter terms control for that engagement to the extent of any conflict.
Legal bases under the UK GDPR and Data Protection Act 2018 include performance of a contract, pre-contractual steps, legitimate interests that are not overridden by your rights, legal obligations and consent where specifically requested. Time periods expressed in business days mean days other than Saturday, Sunday and public holidays in England and Wales unless the parties agree otherwise in writing.
11. Your rights
Categories of personal data may include identity data, contact data, organisation details, project descriptions you submit, technical data such as IP address and browser type, correspondence, billing administration data for commercial engagements and other information you choose to provide. References to smart living technology, connected home platforms and home automation software include related consulting, integration and stabilisation services supplied by the company.
We collect data directly from you via forms, email and calls. We may also receive data from authorised colleagues, proportionate publicly available business sources and service providers supporting hosting, analytics and communications under appropriate agreements. This obligation is interpreted in light of UK data protection practice and the legitimate expectations of individuals who interact with smart home software providers operating from the United Kingdom.
Purposes include responding to enquiries, qualifying engagements, delivering contracted software services, administering accounts, improving website security and performance, complying with accounting duties, establishing legal claims and sending service updates for active relationships. Nothing in this section limits any non-excludable right under applicable law of England and Wales, including rights that cannot be waived by contract.
We do not sell personal data. We share data with processors for hosting, collaboration, accounting and security monitoring only as needed, with professional advisers under confidentiality, with authorities when legally required and with successors in corporate transactions under safeguards. Where conflict arises between summary language on marketing pages and this legal text, this legal text prevails for the subject matter it covers without exception.
12. Children
Retention follows purpose. Enquiry records are typically kept up to twenty-four months after last meaningful contact. Contract and billing records follow UK tax and commercial retention, often six years or longer. Security logs use shorter windows unless an incident requires extension. Records relating to this section may be retained for as long as necessary to demonstrate compliance, resolve disputes, meet accounting duties or satisfy regulatory expectations applicable to a United Kingdom company.
We implement technical and organisational measures against unauthorised access, alteration, disclosure or destruction, including access control, encryption in transit where appropriate, staff awareness, vendor diligence and incident response. Residual risk is managed to a level appropriate for a professional software firm. If a provision is held unenforceable by a competent authority, the remaining provisions continue in force to the maximum extent permitted and the invalid portion is modified to the minimum degree needed.
You have rights of access, rectification, erasure, restriction, objection, portability where applicable and complaint to the Information Commissioner's Office. We may verify identity before fulfilling requests. Communications regarding this section should be directed to tech@jambolabs.work or to Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom with a clear subject line identifying the legal topic.
Our website and services target business users and are not intended for children. We do not knowingly collect children's data through website marketing and will delete such data if notified. Operational teams within JAMBO LABS LTD are instructed to treat these requirements as mandatory field constraints rather than optional guidance during delivery of smart home app development services.
13. Automated decision-making
Website enquiry routing does not constitute solely automated decision-making with legal or similarly significant effects. If that changes, we will provide required information and safeguards. Cross-border transfers, if any, are assessed against UK adequacy decisions, international data transfer agreements, standard contractual clauses or other lawful transfer tools then available under UK law.
International transfers outside the United Kingdom are assessed case by case using lawful mechanisms such as adequacy regulations or standard contractual clauses with transfer risk assessments when required. Security measures are reviewed periodically and adjusted when material changes occur in threat models relevant to IoT platforms, mobile applications and cloud-hosted control services.
We may update this Privacy Policy for law, technology or operational changes. The effective date will be revised and material changes may be communicated through account channels for existing clients. Individuals may request clarification of how a particular processing activity maps to the purposes described herein and will receive a response within statutory timeframes where a formal rights request is made.
Third-party websites linked from https://jambolabs.work have their own policies. Review those policies before providing personal data to third parties. Commercial clients remain responsible for providing accurate instructions regarding end-user personal data processed inside applications that Supplier builds under a processor role.
Marketing messages, if sent, occur only where permitted. You may unsubscribe via message instructions or by contacting us. Transactional contract messages may continue as necessary. Technical descriptions of magnetic field metaphors used on the website are branding devices and do not alter legal duties stated in this document.
14. Marketing communications
Special category data is not sought through standard website forms. If a project requires such processing inside a client system, it proceeds under documented contractual instructions and lawful conditions. Where a statement of work sets stricter confidentiality or security terms, those stricter terms control for that engagement to the extent of any conflict.
Client deliverables may process end-user data within smart home applications. Roles are defined in services agreements and processing schedules. This policy does not replace those terms for end users of client products. Time periods expressed in business days mean days other than Saturday, Sunday and public holidays in England and Wales unless the parties agree otherwise in writing.
Employment and recruitment data is processed under separate notices provided during recruitment where required. Physical security logs at premises follow posted site notices when applicable. References to smart living technology, connected home platforms and home automation software include related consulting, integration and stabilisation services supplied by the company.
JAMBO LABS LTD operates https://jambolabs.work and provides smart home app development, home automation software, IoT smart home solutions, smart device control apps, connected home platforms and related professional services to clients in the United Kingdom. This obligation is interpreted in light of UK data protection practice and the legitimate expectations of individuals who interact with smart home software providers operating from the United Kingdom.
This Privacy Policy explains how we collect, use, store, share and protect personal data when you visit our website, submit a field intake form, communicate by telephone or email, or engage our services. Our operating address is Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom. Nothing in this section limits any non-excludable right under applicable law of England and Wales, including rights that cannot be waived by contract.
15. Cookies and similar technologies
We are the controller of personal data processed through the website and related business communications unless a written agreement states that we act as a processor for a client. Data protection enquiries should be sent to the published contact email. Where conflict arises between summary language on marketing pages and this legal text, this legal text prevails for the subject matter it covers without exception.
Legal bases under the UK GDPR and Data Protection Act 2018 include performance of a contract, pre-contractual steps, legitimate interests that are not overridden by your rights, legal obligations and consent where specifically requested. Records relating to this section may be retained for as long as necessary to demonstrate compliance, resolve disputes, meet accounting duties or satisfy regulatory expectations applicable to a United Kingdom company.
Categories of personal data may include identity data, contact data, organisation details, project descriptions you submit, technical data such as IP address and browser type, correspondence, billing administration data for commercial engagements and other information you choose to provide. If a provision is held unenforceable by a competent authority, the remaining provisions continue in force to the maximum extent permitted and the invalid portion is modified to the minimum degree needed.
We collect data directly from you via forms, email and calls. We may also receive data from authorised colleagues, proportionate publicly available business sources and service providers supporting hosting, analytics and communications under appropriate agreements. Communications regarding this section should be directed to tech@jambolabs.work or to Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom with a clear subject line identifying the legal topic.
16. Client product processing
Purposes include responding to enquiries, qualifying engagements, delivering contracted software services, administering accounts, improving website security and performance, complying with accounting duties, establishing legal claims and sending service updates for active relationships. Operational teams within JAMBO LABS LTD are instructed to treat these requirements as mandatory field constraints rather than optional guidance during delivery of smart home app development services.
We do not sell personal data. We share data with processors for hosting, collaboration, accounting and security monitoring only as needed, with professional advisers under confidentiality, with authorities when legally required and with successors in corporate transactions under safeguards. Cross-border transfers, if any, are assessed against UK adequacy decisions, international data transfer agreements, standard contractual clauses or other lawful transfer tools then available under UK law.
Retention follows purpose. Enquiry records are typically kept up to twenty-four months after last meaningful contact. Contract and billing records follow UK tax and commercial retention, often six years or longer. Security logs use shorter windows unless an incident requires extension. Security measures are reviewed periodically and adjusted when material changes occur in threat models relevant to IoT platforms, mobile applications and cloud-hosted control services.
We implement technical and organisational measures against unauthorised access, alteration, disclosure or destruction, including access control, encryption in transit where appropriate, staff awareness, vendor diligence and incident response. Residual risk is managed to a level appropriate for a professional software firm. Individuals may request clarification of how a particular processing activity maps to the purposes described herein and will receive a response within statutory timeframes where a formal rights request is made.
17. Third-party links
You have rights of access, rectification, erasure, restriction, objection, portability where applicable and complaint to the Information Commissioner's Office. We may verify identity before fulfilling requests. Commercial clients remain responsible for providing accurate instructions regarding end-user personal data processed inside applications that Supplier builds under a processor role.
Our website and services target business users and are not intended for children. We do not knowingly collect children's data through website marketing and will delete such data if notified. Technical descriptions of magnetic field metaphors used on the website are branding devices and do not alter legal duties stated in this document.
Website enquiry routing does not constitute solely automated decision-making with legal or similarly significant effects. If that changes, we will provide required information and safeguards. Where a statement of work sets stricter confidentiality or security terms, those stricter terms control for that engagement to the extent of any conflict.
International transfers outside the United Kingdom are assessed case by case using lawful mechanisms such as adequacy regulations or standard contractual clauses with transfer risk assessments when required. Time periods expressed in business days mean days other than Saturday, Sunday and public holidays in England and Wales unless the parties agree otherwise in writing.
We may update this Privacy Policy for law, technology or operational changes. The effective date will be revised and material changes may be communicated through account channels for existing clients. References to smart living technology, connected home platforms and home automation software include related consulting, integration and stabilisation services supplied by the company.
18. Changes to this policy
Third-party websites linked from https://jambolabs.work have their own policies. Review those policies before providing personal data to third parties. This obligation is interpreted in light of UK data protection practice and the legitimate expectations of individuals who interact with smart home software providers operating from the United Kingdom.
Marketing messages, if sent, occur only where permitted. You may unsubscribe via message instructions or by contacting us. Transactional contract messages may continue as necessary. Nothing in this section limits any non-excludable right under applicable law of England and Wales, including rights that cannot be waived by contract.
Special category data is not sought through standard website forms. If a project requires such processing inside a client system, it proceeds under documented contractual instructions and lawful conditions. Where conflict arises between summary language on marketing pages and this legal text, this legal text prevails for the subject matter it covers without exception.
Client deliverables may process end-user data within smart home applications. Roles are defined in services agreements and processing schedules. This policy does not replace those terms for end users of client products. Records relating to this section may be retained for as long as necessary to demonstrate compliance, resolve disputes, meet accounting duties or satisfy regulatory expectations applicable to a United Kingdom company.
Employment and recruitment data is processed under separate notices provided during recruitment where required. Physical security logs at premises follow posted site notices when applicable. If a provision is held unenforceable by a competent authority, the remaining provisions continue in force to the maximum extent permitted and the invalid portion is modified to the minimum degree needed.
19. Complaints
JAMBO LABS LTD operates https://jambolabs.work and provides smart home app development, home automation software, IoT smart home solutions, smart device control apps, connected home platforms and related professional services to clients in the United Kingdom. Communications regarding this section should be directed to tech@jambolabs.work or to Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom with a clear subject line identifying the legal topic.
This Privacy Policy explains how we collect, use, store, share and protect personal data when you visit our website, submit a field intake form, communicate by telephone or email, or engage our services. Our operating address is Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom. Operational teams within JAMBO LABS LTD are instructed to treat these requirements as mandatory field constraints rather than optional guidance during delivery of smart home app development services.
We are the controller of personal data processed through the website and related business communications unless a written agreement states that we act as a processor for a client. Data protection enquiries should be sent to the published contact email. Cross-border transfers, if any, are assessed against UK adequacy decisions, international data transfer agreements, standard contractual clauses or other lawful transfer tools then available under UK law.
Legal bases under the UK GDPR and Data Protection Act 2018 include performance of a contract, pre-contractual steps, legitimate interests that are not overridden by your rights, legal obligations and consent where specifically requested. Security measures are reviewed periodically and adjusted when material changes occur in threat models relevant to IoT platforms, mobile applications and cloud-hosted control services.
20. Contact details
Categories of personal data may include identity data, contact data, organisation details, project descriptions you submit, technical data such as IP address and browser type, correspondence, billing administration data for commercial engagements and other information you choose to provide. Individuals may request clarification of how a particular processing activity maps to the purposes described herein and will receive a response within statutory timeframes where a formal rights request is made.
We collect data directly from you via forms, email and calls. We may also receive data from authorised colleagues, proportionate publicly available business sources and service providers supporting hosting, analytics and communications under appropriate agreements. Commercial clients remain responsible for providing accurate instructions regarding end-user personal data processed inside applications that Supplier builds under a processor role.
Purposes include responding to enquiries, qualifying engagements, delivering contracted software services, administering accounts, improving website security and performance, complying with accounting duties, establishing legal claims and sending service updates for active relationships. Technical descriptions of magnetic field metaphors used on the website are branding devices and do not alter legal duties stated in this document.
We do not sell personal data. We share data with processors for hosting, collaboration, accounting and security monitoring only as needed, with professional advisers under confidentiality, with authorities when legally required and with successors in corporate transactions under safeguards. Where a statement of work sets stricter confidentiality or security terms, those stricter terms control for that engagement to the extent of any conflict.
Contact for legal notices: tech@jambolabs.work · +44 20 8518 6294 · Flat 53 Willow Court Spring Close, Dagenham, RM8 1SW, United Kingdom · https://jambolabs.work