This Data Protection Addendum ("Addendum") between Cognyx Software SAS. ("Cognyx") and the Customer (as defined in the Agreement) forms part of the Cognyx Software SAS. Terms of Service set forth at https://www.cognyx.io/mentions-legales or such other written or electronic agreement incorporating this Addendum, in each case governing Customer's access to and use of the Services (the "Agreement").
Customer enters into this Addendum on behalf of itself and any Affiliates authorized to use the Services under the Agreement and who have not entered into a separate contractual arrangement with Cognyx. For the purposes of this Addendum only, and except where otherwise indicated, references to "Customer" shall include Customer and such Affiliates.
The Parties hereby agree that the terms and conditions set out below shall be added as an Addendum to the Agreement.
Description of Processing Activities for Customer Personal Data
This Annex includes certain details of the Processing of Customer Personal Data by Cognyx in connection with the Services.
Data Exporter
| Name: | Customer (as defined in the Agreement) |
| Address: | As set forth in the relevant Order Form. |
| Contact person's name, position and contact details: | As set forth in the relevant Order Form. |
| Activities relevant to the data transferred under these Clauses: | Recipient of the Services provided by Cognyx in accordance with the Agreement. |
| Signature and date: | Signature and date are set out in the Agreement. |
| Role (controller/processor): | Controller |
Data Importer
| Name: | Cognyx Software SAS SIREN 979556099, inscrit au RCS de Nanterre (Hauts-de-Seine, 92) le 19/09/2023 |
| Address: | 14 rue Beffroy 92200 NEUILLY SUR SEINE |
| Contact person's name, position and contact details: | Matthias Berahya-Lazarus matthias@cognyx.io |
| Activities relevant to the data transferred under these Clauses: | Provision of the Services to the Customer in accordance with the Agreement. |
| Signature and date: | Signature and date are set out in the Agreement. |
| Role (controller/processor): | Processor |
| Identify the competent supervisory authority/ies in accordance (e.g. in accordance with Clause 13 SCCs) | As determined by application of Clause 13 of the EU SCCs. |
| Categories of data subjects whose personal data is transferred | Customer's authorized users of the Services |
| Categories of personal data transferred | Names and email addresses of the Customer's authorised users (for authentication and access to the Services), and any personal data the Customer or its authorised users include in content uploaded to the Services. |
| Sensitive personal data transferred | None |
| Frequency of the transfer | Continuous |
| Nature of the processing | The nature of the processing is more fully described in the Agreement and accompanying order forms, and comprises: • hosting and operation of the Cognyx SaaS platform; authentication and management of authorised users' access to the Services; • and processing of Customer Personal Data solely as necessary to provide the Services. Cognyx does not enrich the data or supply it to third-party data providers. The purpose of the processing is to provide the Services to the Customer in accordance with the Agreement and accompanying order forms. |
| Purpose of the data transfer and further processing | |
| For processing involving California consumers, please select the Business Purpose(s) for Processing Personal Data | ☐ N/A ☐ Auditing related to counting ad impressions to unique visitors, verifying positioning and quality of ad impressions, and auditing compliance with this specification and other standards ☒ Helping to ensure security and integrity to the extent the use of the consumer’s personal information is reasonably necessary and proportionate for these purposes ☒ Debugging to identify and repair errors that impair existing intended functionality. ☐ Short-term, transient use, including, but not limited to, non-personalized advertising shown as part of a consumer’s current interaction with the business, provided that the consumer’s personal information is not disclosed to another third party and is not used to build a profile about the consumer or otherwise alter the consumer’s experience outside the current interaction with the business ☒ Performing services on behalf of the business, including maintaining or servicing accounts, providing customer service, processing or fulfilling orders and transactions, verifying customer information, processing payments, providing financing, providing analytic services, providing storage, or providing similar services on behalf of the business. ☐ Providing advertising and marketing services, except for cross-context behavioral advertising, to the consumer provided that, for the purpose of advertising and marketing, a service provider or contractor shall not combine the personal information of opted-out consumers that the service provider or contractor receives from, or on behalf of, the business with personal information that the service provider or contractor receives from, or on behalf of, another person or persons or collects from its own interaction with consumers. ☒ Undertaking internal research for technological development and demonstration. ☒ Undertaking activities to verify or maintain the quality or safety of a service or device that is owned, manufactured, manufactured for, or controlled by the business, and to improve, upgrade, or enhance the service or device that is owned, manufactured, manufactured for or controlled by the business. ☒ To retain and employ another service provider or contractor as a subcontractor where the subcontractor meets the requirements for a service provider or contractor under CCPA. ☒ To build or improve the quality of the services it is providing to the business even if this Business Purpose is not specified in the written contract required by CCPA provided that Service Provider does not use the Customer Personal Data to perform Services on behalf of another person. ☒ To prevent, detect, or investigate data security incidents or protect against malicious, deceptive, fraudulent, or illegal activity, even if this Business Purpose is not specified in the written contract. |
| Period for which the personal data will be retained or criteria used to determine that period | The period for which the Customer Personal Data will be retained is more fully described in the Agreement, Addendum, and accompanying order forms. |
| Subprocessor transfers - subject matter, nature, and duration of processing | The subject matter, nature, and duration of the Processing more fully described in the Agreement, Addendum, and accompanying order forms. |
Description of the technical and organizational security measures implemented by Cognyx as the data processor/data importer to ensure an appropriate level of security, taking into account the nature, scope, context, and purpose of the processing, and the risks for the rights and freedoms of natural persons.
| Name of Sub-processor | Description of Processing | Location of Sub-processor |
| Microsoft Azure | Running the Production, Staging & Demo environments including the Application and Databases | Europe |
| GCP | Running the Production, Staging & Demo environments including the Application and Databases | Europe |
| Google Workspace | Email services | Europe |
| Sendgrid | Email services | USA |
| Google Firebase | Authentication | USA |
| RBB Advisors | Accounting & Payroll | France |
| Memo Bank | Banking solutions | France |
| Figma | Product Design | USA |
| Sentry | Error Alerting | USA |
| Circleback | Meeting transcriber | USA |
| PostHog | Product analytics | USA |
| Notion | Knowledge base, Wiki & Project planning | USA |
| Linear | Task Management | USA |
| Qualitee | Software QA | USA |
| Github | Code version control | USA |
| Slack | Messaging | USA |
| Attio | CRM solution | UK |
| OpenAI | AI, LLM | USA |
| Anthropic | AI, LLM | USA |
| Mistral | AI, LLM | Europe |
| Google Gemini | AI, LLM | Europe |
| Version No. | Revision Date | Description of Change | Author | Reviewer | Approver |
|---|---|---|---|---|---|
| 1.0 | 04/12/2024 | Initial Release | Matthias Berahya-Lazarus | Deon van der Vyver | Deon van der Vyver |
| 1.1 | 29/05/2026 | Annex 2 — added Google Gemini (AI, LLM) as an authorised sub-processor | Tapan | Deon van der Vyver | Deon van der Vyver |
| 1.2 | 12/06/2026 | SCC governing law changed to French law and Paris courts (Clauses 17 & 18(b)); added Sub-processor change notice and objection mechanism to §4.2(d) (30-day notice, completing SCC Clause 9 Option 2); added no-AI-training commitment to the AI processing clause; corrected Annex 1 nature of processing and personal-data categories to reflect Cognyx's actual SaaS processing; added GCP as a hosting Sub-processor (Annex 2 and security measures); SOC 2 described as a Type II report rather than a certification; removed inaccurate "no temporary files" statement; DPIA terminology and minor typo corrections. | Tapan | Deon van der Vyver | Deon van der Vyver |
© All rights reserved Cognyx 2025