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Joy terms of use
Joy is a web service.
Joy is a service that allows its users to sign up to community services and communicate with each other. The Joy service may only be used in accordance with these terms of use. We reserve the right to change these terms of use if required.
Rights of Content
The users themselves retain the right to all text, pictures and other content that they create in the service. The users allow others to utilise the content in accordance with the nature of the service and furthermore allow Joy to file information and data and make changes that are necessary for the service. Users permit Joy to commercialise their content elsewhere such as on other organisations Directories. The responsibility of the content lies with the user, who has produced it for Joy. The service provider has the right to remove any material when it deems it necessary.
Disclaimer
No guarantees of the functioning of the Joy service are given. The users are themselves responsible for their actions in the service and they should estimate the reliability of other users before dealing with them. Joy can under no circumstances be liable for damage that is caused to the user. The user may not store any information or data in the service, and expect it to remain there.
The Removal of a User
Joy has the right to remove any users from the Joy platform and terminate their right of use of the service without any specific reason and without being liable for compensation.
Applicable Jurisdiction
The jurisdiction that is applicable in this service and these terms of use is that of UK, unless something else is required by binding law.
Joy acceptable use policy
1. Introduction
1.1 This acceptable use policy (the "Policy") sets out the rules governing:
(a) the use of the website at [thejoyapp.com], any successor website, and the services available on that website or any successor website (the "Services"); and
(b) the transmission, storage and processing of content by you, or by any person on your behalf, using the Services ("Content").
1.2 References in this Policy to "you" are to any customer for the Services and any individual user of the Services (and "your" should be construed accordingly); and references in this Policy to "us" are to Pungo Ltd t/a Joy (and "we" and "our" should be construed accordingly).
1.3 By using the Services, you agree to the rules set out in this Policy.
1.4 We will ask for your express agreement to the terms of this Policy before you upload or submit any Content or otherwise use the Services.
2. General usage rules
2.1 You must not use the Services in any way that causes, or may cause, damage to the Services or impairment of the availability or accessibility of the Services.
2.2 You must not use the Services:
(a) in any way that is unlawful, illegal, fraudulent, deceptive or harmful; or
(b) in connection with any unlawful, illegal, fraudulent, deceptive or harmful purpose or activity.
2.3 You must ensure that all Content complies with the provisions of this Policy.
3. Unlawful Content
3.1 Content must not be illegal or unlawful, must not infringe any person's legal rights, and must not be capable of giving rise to legal action against any person (in each case in any jurisdiction and under any applicable law).
3.2 Content, and the use of Content by us in any manner licensed or otherwise authorised by you, must not:
(a) be libellous or maliciously false;
(b) be obscene or indecent;
(c) infringe any copyright, moral right, database right, trade mark right, design right, right in passing off, or other intellectual property right;
(d) infringe any right of confidence, right of privacy or right under data protection legislation;
(e) constitute negligent advice or contain any negligent statement;
(f) constitute an incitement to commit a crime, instructions for the commission of a crime or the promotion of criminal activity;
(g) be in contempt of any court, or in breach of any court order;
(h) constitute a breach of racial or religious hatred or discrimination legislation;
(i) be blasphemous;
(j) constitute a breach of official secrets legislation; or
(k) constitute a breach of any contractual obligation owed to any person.
3.3 You must ensure that Content is not and has never been the subject of any threatened or actual legal proceedings or other similar complaint.
4. Factual accuracy
4.1 Content must not be untrue, false, inaccurate or misleading.
4.2 Statements of fact contained in Content and relating to persons (legal or natural) must be true.
5. Negligent advice
5.1 Content must not consist of or contain any legal, financial, investment, taxation, accountancy, medical or other professional advice, and you must not use the Services to provide any legal, financial, investment, taxation, accountancy, medical or other professional advisory services.
5.2 Content must not consist of or contain any advice, instructions or other information that may be acted upon and could, if acted upon, cause death, illness or personal injury, damage to property, or any other loss or damage.
5. Etiquette
5.1 Content must be appropriate, civil and tasteful, and accord with generally accepted standards of etiquette and behaviour on the internet.
5.2 Content must not be offensive, deceptive, threatening, abusive, harassing, menacing, hateful, discriminatory or inflammatory.
5.3 Content must not be liable to cause annoyance, inconvenience or needless anxiety.
5.4 You must not use the Services to send any hostile communication or any communication intended to insult, including such communications directed at a particular person or group of people.
5.5 You must not use the Services for the purpose of deliberately upsetting or offending others.
5.6 You must not unnecessarily flood the Services with material relating to a particular subject or subject area, whether alone or in conjunction with others.
5.7 You must ensure that Content does not duplicate other content available through the Services.
5.8 You must ensure that Content is appropriately categorised.
5.9 You should use appropriate and informative titles for all Content.
5.10 You must at all times be courteous and polite to other users of the Services.
6. Marketing and spam
6.1 You must not without our written permission use the Services for any purpose relating to the marketing, advertising, promotion, sale or supply of any product, service or commercial offering.
6.2 Content must not constitute or contain spam, and you must not use the Services to store or transmit spam - which for these purposes shall include all unlawful marketing communications and unsolicited commercial communications.
6.3 You must not send any spam to any person using any email address or other contact details made available through the Services or that you find using the Services.
6.4 You must not use the Services to promote, host or operate any chain letters, Ponzi schemes, pyramid schemes, matrix programs, multi-level marketing schemes, "get rich quick" schemes or similar letters, schemes or programs.
6.5 You must not use the Services in any way which is liable to result in the blacklisting of any of our IP addresses.
7. Regulated businesses
7.1 You must not use the Services for any purpose relating to gambling, gaming, betting, lotteries, sweepstakes, prize competitions or any gambling-related activity.
7.2 You must not use the Services for any purpose relating to the offering for sale, sale or distribution of drugs or pharmaceuticals.
7.3 You must not use the Services for any purpose relating to the offering for sale, sale or distribution of knives, guns or other weapons.
8. Monitoring
8.1 You acknowledge that we may actively monitor the Content and the use of the Services.
9. Data mining
9.1 You must not conduct any systematic or automated data scraping, data mining, data extraction or data harvesting, or other systematic or automated data collection activity, by means of or in relation to the Services.
10. Hyperlinks
10.1 You must not link to any material using or by means of the Services that would, if it were made available through the Services, breach the provisions of this Policy.
11. Harmful software
11.1 The Content must not contain or consist of, and you must not promote, distribute or execute by means of the Services, any viruses, worms, spyware, adware or other harmful or malicious software, programs, routines, applications or technologies.
11.2 The Content must not contain or consist of, and you must not promote, distribute or execute by means of the Services, any software, programs, routines, applications or technologies that will or may have a material negative effect upon the performance of a computer or introduce material security risks to a computer.
Privacy Notice
This Privacy Notice gives you information about how Joy collects and uses your personal data through your use of our app and when you communicate with us in any way, including any data you may provide when you sign up and use our services.
Who we are and how to contact us
Joy is the controller and responsible for your personal data (collectively referred to as Joy, "we", "us" or "our" in this Privacy Notice). Pungo Ltd is a company registered in England and Wales with company number 11914576 with its registered office at 25 Horsell Road, London, England, N5 1XL.
If you would like to contact us about anything in this Privacy Notice, or if you have any questions about how we use your information or if you would like to exercise any of your data subject rights, please contact us here: dataprotection@explorejoy.co.uk
The types of personal data we collect about all the users of our app
Personal data means any information about an individual from which that person can be identified.
We may collect, use, store and transfer different kinds of personal data about you which we have grouped together as follows:
· Identity Data includes: full name, date of birth, GP surgery and NHS number.
· Contact Data includes: address, email address and telephone number.
· Technical Data includes internet protocol (IP) address, your login data, browser type and version, time zone setting and location, browser plug-in types and versions, operating system and platform, device ID and other technology on the devices you use to access this website.
· Profile Data includes your username and password, your preferences, feedback and survey responses.
· Usage Data includes information about how you interact with and use our website, products and services.
· Marketing and Communications Data includes your preferences in receiving marketing from us and our third parties and your communication preferences.
· Health Data includes: any data about your health that you share with us when you express interest in, sign up for, and/or use our services
We also collect, use and share anonymised aggregated data such as statistical or demographic data which is not personal data as it does not directly (or indirectly) reveal your identity. For example, we may use this anonymised data for the purposes of helping us build evidence to justify formal clinical trials and feasibility studies in a clinical setting, or for internal research and product development, including product development involving machine learning and big data analysis, or for future publications.
Joy as a Data Controller
What personal information does Joy collect, for what purpose, and what is the legal bases or bases relied upon?
We collect information in a variety of ways including information that you provide to us or that is automatically collected during your interaction with the Services. When we collect your personal information for this, we must tell you the types of personal information that are collected, our reason (purpose) for our collection and processing of that information, and the legal basis/ bases that we rely on for such collection and processing to occur. The below table sets this out and describes the types of personal information we process, the associated purpose and the corresponding legal bases.
Purpose/Use |
Type of data |
Legal basis |
To register you as a new user to the marketplace |
(a) Identity (b) Contact |
Performance of a contract with you
|
To register a new social prescribing service to the marketplace |
(a) Identity (of main contact) (b) Contact |
Performance of a contract with you
|
To process and deliver our marketplace services to you |
(a) Identity (b) Health (if you choose to provide us with further information) |
Explicit consent |
To manage our relationship with you which will include: (a) Notifying you about changes to our terms or Privacy Notice (b) Dealing with your requests, complaints and queries |
(a) Identity (b) Contact (c) Profile (d) Marketing and Communications |
(a) Performance of a contract with you (b) Necessary to comply with a legal obligation (c) Necessary for our legitimate interests (to keep our records updated and manage our relationship with you) |
To enable you to complete a survey |
(a) Identity (b) Contact (c) Profile (d) Usage (e) Marketing and Communications |
(a) Necessary for our legitimate interests (to study how customers use our products/services, to develop them and grow our business) (b) Consent |
To administer and protect our business and this mobile app (including troubleshooting, data analysis, testing, system maintenance, support, reporting and hosting of data) |
(a) Identity (b) Contact (c) Technical |
(a) Necessary for our legitimate interests (for running our business, provision of administration and IT services, network security, to prevent fraud and in the context of a business reorganisation or group restructuring exercise) (b) Necessary to comply with a legal obligation |
To use data analytics to improve our website, products/services, customer relationships and experiences and to measure the effectiveness of our communications and marketing |
(a) Technical (b) Usage |
Necessary for our legitimate interests (to define types of customers for our products and services, to keep our website updated and relevant, to develop our business and to inform our marketing strategy) |
To send you relevant marketing communications and make personalised suggestions and recommendations to you about goods or services that may be of interest to you based on your Profile Data |
(a) Identity (b) Contact (c) Technical (d) Usage (e) Profile (f) Marketing and Communications |
Consent, having obtained your prior consent to receiving direct marketing communications |
Joy as a Data Procesor
What personal information does Joy collect and why?
Joy acts as a data processor when processing patient data which means we only process patient data according to the instructions of the data controller – the organisations providing care, such as a GP practice or other social prescribing service. They maintain the overall responsibility for patient data and the circumstances of any processing.
As such, Joy is acting under the instructions of the user’s organisation (the data controller they determine the lawful basis for processing. In most cases, for the processing of patient data, the organisation relies on:
- Article 6 (1) (e) of the GDPR – processing personal information that is necessary to provide a service which is in the public interest
- Article 9 (2) (h) of the GDPR – permits processing of health information which is necessary for the provision of health treatment.
The national data opt-out (NDOO) is a service that allows patients to opt out of their confidential NHS patient information being used for research and planning purposes. As a processor of this data, it is notJoy's responsibility to facilitate and process this opt out. It is is the requirement of the respective data controller. You can find out more details about opting out here.
Purpose/Use |
Type of data |
When the clinician/professional registers with Joy |
(a) Clinician contact (clinician's name, employer, job title and contact details) |
When a clinician adds a patient to Joy or makes a referral through Joy |
(a) Contact (name, DOB, contact details, NHS number, gender) (b) Health information (if the clinician chooses to provide us with further information) |
When a clinician refers a patient or manages a referral to a social prescribing service |
(a) Contact (name, DOB, contact details, NHS number, gender) (b) Health information (if the clinician chooses to provide us with further information) |
When Joy Notes is used by a clinician/professional in a consultation |
(a) Contact (name, DOB, contact details, NHS number, gender) (b) Health information |
2.0 How we use your personal data
2.1 Direct marketing
We may use Your Personal Data to contact You with newsletters, marketing or promotional materials and other information that may be of interest to You. You may opt-out of receiving any, or all, of these communications from Us by following the unsubscribe link or instructions provided in any email We send or by contacting us at dataprotection@explorejoy.co.uk.
2.2 Third-party marketing
We will get your express consent before we share your personal data with any third party for their own direct marketing purposes.
2.3 Opting out of marketing
You can ask to stop sending you marketing communications at any time by following the opt-out links within any marketing communication sent to you or by contacting us at dataprotection@explorejoy.co.uk.
If you opt out of receiving marketing communications, you will still receive service-related communications that are essential for administrative or customer service purposes.
2.4 Cookies
We use Cookies and similar tracking technologies to track the activity on Our Service and store certain information. Tracking technologies used are beacons, tags, and scripts to collect and track information and to improve and analyse Our Service. The technologies We use may include:
- Cookies or Browser Cookies: A cookie is a small file placed on Your Device. You can instruct Your browser to refuse all Cookies or to indicate when a Cookie is being sent. However, if You do not accept Cookies, You may not be able to use some parts of our Service. Unless you have adjusted Your browser setting so that it will refuse Cookies, our Service may use Cookies.
- Web Beacons: Certain sections of our Service and our emails may contain small electronic files known as web beacons (also referred to as clear gifs, pixel tags, and single-pixel gifs) that permit the Company, for example, to count users who have visited those pages or opened an email and for other related website statistics (for example, recording the popularity of a certain section and verifying system and server integrity).
Cookies can be "Persistent" or "Session" Cookies. Persistent Cookies remain on Your personal computer or mobile device when You go offline, while Session Cookies are deleted as soon as You close Your web browser. We use both Session and Persistent Cookies for the purposes set out below:
- Necessary / Essential Cookies Type: Session Cookies Administered by: Us Purpose: These Cookies are essential to provide You with services available through the Website and to enable You to use some of its features. They help to authenticate users and prevent fraudulent use of user accounts. Without these Cookies, the services that You have asked for cannot be provided, and We only use these Cookies to provide You with those services.
- Cookies Policy / Notice Acceptance Cookies Type: Persistent Cookies Administered by: Us
Purpose: These Cookies identify if users have accepted the use of cookies on the Website.
- Functionality Cookies Type: Persistent Cookies Administered by: Us Purpose: These Cookies allow us to remember choices You make when You use the Website, such as remembering your login details or language preference. The purpose of these Cookies is to provide You with a more personal experience and to avoid You having to re-enter your preferences every time You use the Website.
- Tracking and Performance Cookies Type: Persistent Cookies Administered by: Third-Parties Purpose: These Cookies are used to track information about traffic to the Website and how users use the Website. The information gathered via these Cookies may directly or indirectly identify you as an individual visitor. This is because the information collected is typically linked to a pseudonymous identifier associated with the device you use to access the Website. We may also use these Cookies to test new pages, features or new functionality of the Website to see how our users react to them.
3.0 Disclosures of your personal data
We may share your personal data where necessary with external third parties who provide services to us, e.g: cloud service providers and technology services, or clinical research organisations. We require all third parties to respect the security of your personal data and to treat it in accordance with the law. We have Data Processing Agreements in place with these third party providers and we do not allow our third-party service providers to use your personal data for their own purposes and only permit them to process your personal data for specified purposes and in accordance with our instructions.We do not sell your data to anyone and only share it with our contracted processors.
Joy processes personal data in the capacity of both a data controller and a data processor. When we are a processor of personal data, we are doing so purely on the instructions of another organisation or company as they are the controller.
We also may share your personal data where necessary with the parties set out below for the purposes set out in the table above.
3.1 Business Transactions
If the Company is involved in a merger, acquisition or asset sale, Your Personal Data may be transferred. Alternatively, we may seek to acquire other businesses or merge with them. We will provide notice before Your Personal Data is transferred and becomes subject to a different Privacy Policy.
3.2 Law enforcement
Under certain circumstances, the Company may be required to disclose Your Personal Data if required to do so by law or in response to valid requests by public authorities (e.g. a court or a government agency).
3.3 Other legal requirements
The Company may disclose Your Personal Data in the good faith belief that such action is necessary to:
- Comply with a legal obligation
- Protect and defend the rights or property of the Company
- Prevent or investigate possible wrongdoing in connection with the Service
- Protect the personal safety of Users of the Service or the public
- Protect against legal liability
4.0 International transfers
We may transfer your personal data to service providers that carry out certain functions on our behalf. This may involve transferring personal data outside the UK or EEA to countries which have laws that do not provide the same level of data protection as the UK or EU law.
Whenever we transfer your personal data out of the UK or EEA to service providers, we ensure a similar degree of protection is afforded to it by ensuring that the following safeguards are in place:
· We will only transfer your personal data to countries that have been deemed by the UK or the EU to provide an adequate level of protection for personal data; or
· We may use specific standard contractual terms approved for use in the UK and/or EEA which give the transferred personal data the same protection as it has in the UK or EEA, or another transfer mechanism which has been approved by the relevant regulator in the UK and/or the EEA. To obtain a copy of these contractual safeguards, please contact us at dataprotection@explorejoy.co.uk.
5.0 Data security
We have put in place appropriate security measures to prevent your personal data from being accidentally lost, used or accessed in an unauthorised way, altered or disclosed. In addition, we limit access to your personal data to those employees, agents, contractors and other third parties who have a business need to know. They will only process your personal data on our instructions and they are subject to a duty of confidentiality.
6.0 Data retention
6.1 How long will you use my personal data for?
Your information is securely stored. Joywill retain Your Personal Data only for as long as is necessary for the purposes set out in this Privacy Notice or for the lifetime of any contractural agreements.
We will retain and use Your Personal Data to the extent necessary to comply with our legal obligations (for example, if we are required to retain your data to comply with applicable laws), resolve disputes, and enforce our legal agreements and policies. The Company will also retain Usage Data for internal analysis purposes. Usage Data is generally retained for a shorter period of time, except when this data is used to strengthen the security or to improve the functionality of Our Service, or We are legally obligated to retain this data for longer time periods.
To determine the appropriate retention period for personal data, we consider the amount, nature and sensitivity of the personal data, the potential risk of harm from unauthorised use or disclosure of your personal data, the purposes for which we process your personal data and whether we can achieve those purposes through other means, and the applicable legal, regulatory, tax, accounting or other requirements.
In some circumstances we will anonymise your personal data (so that it can no longer be associated with you) for research or statistical purposes, in which case we may use this information indefinitely without further notice to you.
7.0 Protecting your sensitive data
Joy follows the information security values of
- confidentiality - making sure your information is always kept secret and private;
- integrity - we ensure the completeness, consistency, and accuracy of the data over its lifecycle; and
- availability - we ensure the right information is available to the right person at the right time.
We use the following techniques and best practices to protect your sensitive data:
7.1 People
- Training - All staff receive regular appropriate training on data protection and security and their related duties to ensuring your personal data is secure;
- Minimised access: your personal data, including Health Data, can only be accessed on a strictly needs to know basis by our admin staff, or customer support as and when necessary, specifically as relates to your particular request for support;
- Security expertise: To design and operate our platform, we utilise qualified security professionals with recognised experience and certifications in technical security architecture as well as governance, risk, and compliance.
7.2 Cyber resiliency, business continuity, and disaster recovery
- We utilise the most secure and resilient infrastructure from AWS which ensures servers are always patched and up to date.
- Web servers store no sensitive information – this is retrieved from an AWS AES-256 encrypted database accessible only within the virtual private cloud. Automated tests are performed internally across the codebase on every commit.
- In addition, we commit to undertaking annual third-party security audits with certified security auditors including web, desktop and mobile application penetration tests to ensure comprehensive coverage.
7.3 Technology
We adopt principles of Secure by Design, including:
- Architecture in line with industry standards.
- This includes role based access controls.
- Our REST APIs utilise authentication and authorization to ensure data minimization and prevent unauthorised access to data.
- Our password quality validation for users ensures only strong passwords are allowed and are stored hashed using SHA-2565.
We use encryption in all of the following scenarios:
- In transit using modern protocols (TLS only) and secure ciphers (both internally within the VPC and externally with users & applications)
- At rest using AES-256 encryption
Data centres:
- We host data in multiple availability zones/regions in order to maximise availability. All production environments are located within the UK and EEA.
- Where possible, deploy a High Availability (HA) architecture to ensure resilience with automated failover to provide uninterrupted service.
Development, security & operations:
- We operate a mature secure software development life cycle (SDLC), which includes but is not limited to:
- Separation of keys for each environment and robust key management processes
- Regular dependency and package management audits and remediation
- Logical separation of production and development environments including isolated databases
- Static code testing to ensure code is free from known vulnerabilities
- Dynamic code testing to ensure applications do not expose vulnerabilities
- Manual security testing (annual penetration test)
8.0 Your legal rights
You have a number of rights under data protection laws in relation to your personal data.
You have the right to:
- Request access to your personal data (commonly known as a "subject access request"). This enables you to receive a copy of the personal data we hold about you and to check that we are lawfully processing it.
- Request correction of the personal data that we hold about you. This enables you to have any incomplete or inaccurate data we hold about you corrected, though we may need to verify the accuracy of the new data you provide to us.
- Request erasure of your personal data in certain circumstances. This enables you to ask us to delete or remove personal data where there is no good reason for us continuing to process it. You also have the right to ask us to delete or remove your personal data where you have successfully exercised your right to object to processing (see below), where we may have processed your information unlawfully or where we are required to erase your personal data to comply with local law. Note, however, that we may not always be able to comply with your request of erasure for specific legal reasons which will be notified to you, if applicable, at the time of your request.
- Object to processing of your personal data where we are relying on a legitimate interest (or those of a third party) as the legal basis for that particular use of your data (including carrying out profiling based on our legitimate interests). In some cases, we may demonstrate that we have compelling legitimate grounds to process your information which override your right to object.
- You also have the absolute right to object any time to the processing of your personal data for direct marketing purposes.
- Request the transfer of your personal data to you or to a third party. We will provide to you, or a third party you have chosen, your personal data in a structured, commonly used, machine-readable format. Note that this right only applies to automated information which you initially provided consent for us to use or where we used the information to perform a contract with you.
- Withdraw consent at any time where we are relying on consent to process your personal data. However, this will not affect the lawfulness of any processing carried out before you withdraw your consent. If you withdraw your consent, we may not be able to provide certain products or services to you. We will advise you if this is the case at the time you withdraw your consent.
- Request restriction of processing of your personal data. This enables you to ask us to suspend the processing of your personal data in one of the following scenarios:
- If you want us to establish the data's accuracy;
- Where our use of the data is unlawful but you do not want us to erase it;
- Where you need us to hold the data even if we no longer require it as you need it to establish, exercise or defend legal claims; or
- You have objected to our use of your data but we need to verify whether we have overriding legitimate grounds to use it.
- If you wish to exercise any of the rights set out above, please contact us (company privacy email).
Where Joy is the data processor (for example, if a Trust or GP is the controller) to find out more about how your data is protected by them, or to exercise your rights under data protection law, you should contact them directly.
8.1 No fee usually required
You will not have to pay a fee to access your personal data (or to exercise any of the other rights). However, we may charge a reasonable fee if your request is clearly unfounded, repetitive or excessive. Alternatively, we could refuse to comply with your request in these circumstances.
8.2 What we may need from you
We may need to request specific information from you to help us confirm your identity and ensure your right to access your personal data (or to exercise any of your other rights). This is a security measure to ensure that personal data is not disclosed to any person who has no right to receive it. We may also contact you to ask you for further information in relation to your request to speed up our response.
8.3 Time limit to respond
We try to respond to all legitimate requests within one month. Occasionally it could take us longer than a month if your request is particularly complex or you have made a number of requests. In this case, we will notify you and keep you updated.
9.0 Contact details
If you have any questions about this Privacy Notice or about the use of your personal data or you want to exercise your privacy rights, please contact us in the following ways:
- Email address: dataprotection@explorejoy.co.uk
10.0 Complaints
You have the right to make a complaint at any time to the Information Commissioner’s Office (ICO), the UK regulator for data protection issues (www.ico.org.uk). We would, however, appreciate the chance to deal with your concerns before you approach the ICO so please contact us in the first instance.
11.0 Changes to the Privacy Notice and your duty to inform us of changes
We keep our Privacy Notice under regular review. This version was last updated in 30th April 2025.
It is important that the personal data we hold about you is accurate and current. Please keep us informed if your personal data changes during your relationship with us, for example a new address or email address.
12.0 Third-party links
This website may include links to third-party websites, plug-ins and applications. Clicking on those links or enabling those connections may allow third parties to collect or share data about you. We do not control these third-party websites and are not responsible for their privacy statements. When you leave our website, we encourage you to read the Privacy Notice of every website you visit.
We require all third parties to respect the security of your personal data and to treat it in accordance with the law. We do not allow our third-party service providers to use your personal data for their own purposes and only permit them to process your personal data for specified purposes and in accordance with our instructions.
13.0 Payments
We may provide paid products and/or services within the Service. In that case, we may use third-party services for payment processing (e.g. payment processors). We will not store or collect Your payment card details. That information is provided directly to Our third-party payment processors whose use of Your personal information is governed by their Privacy Notice.