A quick search would show zendesk is GDPR compliant
https://www.zendesk.com/company/customers-partners/eu-data-protection/#gdpr-sub

Sent from the road while on tour

On Feb 27, 2018 12:57, "Jim Reid" <[email protected]> wrote:


> On 27 Feb 2018, at 15:47, Matt Parker <[email protected]> wrote:
>
> if a user submits unsolicited email attachments that are deemed to be
sensitive/confidential in nature, the RIPE NCC is able to redact these
documents, removing them completely from any third-party servers.

Matt, this misses the point completely.

IMO, nothing member-related should be getting stored or processed on
third-party services. Ever. [Well, OK encrypted backups can be held
off-site by a reputable provider.] What happens when
$cloud-provider-du-jour goes bust or changes its T&Cs (all your data are
belong to us) or does stuff to that data unknown to either the NCC or the
member? Will it be possible to switch providers or bring it back in-house
once the NCC’s finds out it’s been locked in?

At the very least, there should have been a considered discussion about
this in the NCC services WG (and the GM) before a decision was taken.

Some stuff in Zendesk’s privacy policy is downright alarming:

"Our Websites may contain links to other websites and the information
practices and the content of such other websites are governed by the
privacy statements of such other websites. We encourage you to review the
privacy statements of any such other websites to understand their
information practices.”

"We and our authorized partners may use cookies and other information
gathering technologies for a variety of purposes.”

"Third parties with whom we partner to provide certain features on our
Websites or to display advertising based upon your Web browsing activity.”

"We collect analytics information..... We may also share anonymous data
about your actions on our Websites with third-party service providers of
analytics services.”

"We may use the information we collect about you (including personal
information, to the extent applicable) for a variety of purposes, including
to ... (e) send promotional communications, such as providing you with
information about products and services, features, surveys, newsletters,
offers, promotions, contests, and events; and provide other news or
information about us and our partners. ... (f) process and deliver contest
or sweepstakes entries and rewards; (g) monitor and analyze trends, usage,
and activities in connection with the Websites and Services and for
marketing or advertising purposes; ... (i) personalize the Websites and
Services, including by providing features or advertisements that match your
interests and preferences"

"We may also obtain other information, including personal information, from
third parties and combine that with information we collect through our
Websites. For example, we may have access to certain information from a
third party social media or authentication service if you log into our
Services through such a service or otherwise provide us with access to
information from the service.”

"We share information, including personal information, with our third-party
service providers”

I can’t imagine why anyone would sign up to this or think it was culturally
compatible with the membership and RIPE community.

I wonder too how this US company intends to comply with GDPR.


I am saddened that the NCC does not appear to have learned from past
mistakes. Some years ago, the NCC tried to use some (here today gone
tomorrow?) third-party Web2.0 cloud thing or other for storing and
presenting RIPE meeting materials. There was no prior consultation. IIRC it
turned out the provider asserted copyright/IPR over anything that was
uploaded to their systems. They also imposed other conditions which would
have made it impossible for some speakers to provide content.

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