[{"data":1,"prerenderedAt":515},["ShallowReactive",2],{"legal-\u002Flegal\u002Fdpa":3},{"id":4,"title":5,"body":6,"description":12,"extension":507,"meta":508,"navigation":509,"path":510,"seo":511,"stem":512,"updated":513,"__hash__":514},"legal\u002Flegal\u002Fdpa.md","Data Protection Addendum",{"type":7,"value":8,"toc":479},"minimark",[9,13,16,19,22,27,30,33,36,39,42,45,48,52,55,59,62,66,69,73,76,80,83,87,90,93,96,99,102,106,109,113,116,119,122,126,129,133,136,139,143,146,149,152,156,159,162,166,173,177,181,185,188,191,194,197,200,203,206,209,212,215,223,226,228,231,235,238,241,244,247,250,253,256,259,262,265,268,271,274,277,281,284,288,292,296,299,393,397,401,404],[10,11,12],"p",{},"This Data Processing Agreement (“DPA”) forms part of the Terms of Use (or other similarly titled written or\nelectronic agreement addressing the same subject matter) (“Agreement”) between Customer (as defined\nin the Agreement) and DevStride Corp. (“DevStride”) under which the Processor provides the Controller\nwith the software and services (the “Services”). The Controller and the Processor are individually\nreferred to as a “Party” and collectively as the “Parties”.",[10,14,15],{},"The Parties seek to implement this DPA to comply with the requirements of EU GDPR (defined\nhereunder) in relation to Processor’s processing of Personal Data (as defined under the EU GDPR) as\npart of its obligations under the Agreement.",[10,17,18],{},"This DPA shall apply to Processor’s processing of Personal Data, provided by the Controller as part of\nProcessor’s obligations under the Agreement.",[10,20,21],{},"Except as modified below, the terms of the Agreement shall remain in full force and effect.",[23,24,26],"h2",{"id":25},"_1-definitions","1. Definitions",[10,28,29],{},"Terms not otherwise defined herein shall have the meaning given to them in the EU GDPR or the\nAgreement. The following terms shall have the corresponding meanings assigned to them below:",[10,31,32],{},"1.1. \"Data Transfer\" means a transfer of the Personal Data from the Controller to the Processor,\nor between two establishments of the Processor, or with a Sub-processor by the Processor.",[10,34,35],{},"1.2. “EU GDPR” means the Regulation (EU) 2016\u002F679 of the European Parliament and of the\nCouncil of 27 April 2016 on the protection of natural persons with regard to the processing of\npersonal data and on the free movement of such data and repealing Directive 95\u002F46\u002FEC\n(General Data Protection Regulation).",[10,37,38],{},"1.3. “Standard Contractual Clauses” means the contractual clauses attached hereto as\nSchedule 1 pursuant to the European Commission’s Implementing Decision (EU) 2021\u002F914\nof 4 June 2021 on Standard Contractual Clauses for the transfer of Personal Data to\nprocessors established in third countries which do not ensure an adequate level of data\nprotection.",[10,40,41],{},"1.4. “Controller” means the natural or legal person, public authority, agency, or other body which,\nalone or jointly with others, determines the purposes and means of the processing of\npersonal data; where the purposes and means of such processing are determined by Union\n\f            or Member State law, the controller or the specific criteria for its nomination may be provided\nfor by Union or Member State law.",[10,43,44],{},"1.5. “Processor” means a natural or legal person, public authority, agency, or other body which\nprocesses personal data on behalf of the controller.",[10,46,47],{},"1.6. “Sub-processor” means a processor\u002F sub-contractor appointed by the Processor for the\nprovision of all or parts of the Services and Processes the Personal Data as provided by the\nController.",[23,49,51],{"id":50},"_2-purpose-of-this-agreement","2. Purpose of this Agreement",[10,53,54],{},"This DPA sets out various obligations of the Processor in relation to the Processing of Personal Data\nand shall be limited to the Processor’s obligations under the Agreement. If there is a conflict between\nthe provisions of the Agreement and this DPA, the provisions of this DPA shall prevail.",[23,56,58],{"id":57},"_3-categories-of-personal-data-and-data-subjects","3. Categories of Personal Data and Data Subjects",[10,60,61],{},"The Controller authorizes permission to the Processor to process the Personal Data to the extent of\nwhich is determined and regulated by the Controller. The current nature of the Personal Data is\nspecified in Annex I to Schedule 1 to this DPA.",[23,63,65],{"id":64},"_4-purpose-of-processing","4. Purpose of Processing",[10,67,68],{},"The objective of Processing of Personal Data by the Processor shall be limited to the Processor’s\nprovision of the Services to the Controller and or its Client, pursuant to the Agreement.",[23,70,72],{"id":71},"_5-duration-of-processing","5. Duration of Processing",[10,74,75],{},"The Processor will Process Personal Data for the duration of the Agreement, unless otherwise\nagreed upon in writing by the Controller.",[23,77,79],{"id":78},"_6-data-controllers-obligations","6. Data Controller’s Obligations",[10,81,82],{},"6.1. The Data Controller shall warrant that it has all necessary rights to provide the Personal Data to\nthe Data Processor for the Processing to be performed in relation to the agreed services. To the\nextent required by Data Privacy Laws, Data Controller is responsible for ensuring that it provides\nsuch Personal Data to Data Processor based on an appropriate legal basis allowing lawful\nprocessing activities, including any necessary Data Subject consents to this Processing are\nobtained, and for ensuring that a record of such consents is maintained. Should such consent be\nrevoked by the Data Subject, the Data Controller is responsible for communicating the fact of\nsuch revocation to the Data Processor.\n6.2. The Data Controller shall provide all natural persons from whom it collects Personal Data with\nthe relevant privacy notice.\n\f   6.3. The Data Controller shall request the Data Processor to purge Personal Data when required by\nthe Data Controller or any Data Subject whom it collects Personal Data unless the Data\nProcessor is otherwise required to retain the Personal Data by applicable law.\n6.4. The Data Controller shall immediately advise the Data Processor in writing if it receives or learns\nof any:\n6.4.1. Complaint or allegation indicating a violation of Data Privacy Laws regarding Personal\nData;\n6.4.2. Request from one or more individuals seeking to access, correct, or delete Personal Data;\n6.4.3. Inquiry or complaint from one or more individuals relating to the collection, processing, use,\nor transfer of Personal Data; and\n6.4.4. Any regulatory request, search warrant, or other legal, regulatory, administrative, or\ngovernmental process seeking Personal Data",[23,84,86],{"id":85},"_7-data-processors-obligations","7. Data Processor’s Obligations",[10,88,89],{},"7.1. The Processor will follow written and documented instructions received, including email, from\nthe Controller, its affiliate, agents, or personnel, with respect to the Processing of Personal Data\n(each, an “Instruction”).",[10,91,92],{},"7.2. The Processing described in the Agreement and the relating documentation shall be considered\nas Instruction from the Controller.",[10,94,95],{},"7.3. At the Data Controller’s request, the Data Processor will provide reasonable assistance to the\nData Controller in responding to \u002F complying with requests \u002F directions by Data Subject in\nexercising their rights or of the applicable regulatory authorities regarding Data Processor’s\nProcessing of Personal Data.",[10,97,98],{},"7.4. In relation to the Personal Data, Data Processor shall obtain consent (where necessary) and\u002For\nprovide notice to the Data Subject in accordance with Data Protection Laws to enable shared\nPersonal Data to be provided to, and used by, the other Party as contemplated by this\nAgreement.",[10,100,101],{},"7.5. Where shared Personal Data is transferred outside the Data Processor’s territorial boundaries,\nthe transferor shall ensure that the recipient of such data is under contractual obligations to\nprotect such Personal Data to the same or higher standards as those imposed under this\nAddendum and the Data Protection Laws.",[23,103,105],{"id":104},"_8-data-secrecy","8. Data Secrecy",[10,107,108],{},"8.1. To Process the Personal Data, the Processor will use personnel who are\n8.1.1.   Informed of the confidential nature of the Personal Data, and\n8.1.2.   Perform the Services in accordance with the Agreement.\n\f    8.2. The Processor will regularly train individuals having access to Personal Data in data security\nand data privacy in accordance with accepted industry practice and shall ensure that all the\nPersonal Data is kept strictly confidential.\n8.3. The Processor will maintain appropriate technical and organizational measures for protection of\nthe security, confidentiality, and integrity of the Personal Data as per the specifications as per\nthe standards mutually agreed in writing by the Parties.",[23,110,112],{"id":111},"_9-audit-rights","9. Audit Rights",[10,114,115],{},"9.1. Upon Controller’s reasonable request, the Processor will make available to the Controller,\ninformation as is reasonably necessary to demonstrate Processor’s compliance with its\nobligations under the EU GDPR or other applicable laws in respect of its Processing of the\nPersonal Data.",[10,117,118],{},"9.2. When the Controller wishes to conduct the audit (by itself or through a representative) at\nProcessor’s site, it shall provide at least thirty (30) days’ prior written notice to the Processor; the\nProcessor will provide reasonable cooperation and assistance in relation to audits, including\ninspections, conducted by the Controller or its representative.",[10,120,121],{},"9.3. The Controller shall bear the expense of such an audit.",[23,123,125],{"id":124},"_10-mechanism-of-data-transfers","10. Mechanism of Data Transfers",[10,127,128],{},"Any Data Transfer for the purpose of Processing by the Processor in a country outside the European\nEconomic Area (the “EEA”) shall only take place in compliance as detailed in Schedule 1 to the DPA.\nWhere such model clauses have not been executed at the same time as this DPA, the Processor\nshall not unduly withhold the execution of such template model clauses, where the transfer of\nPersonal Data outside of the EEA is required for the performance of the Agreement.",[23,130,132],{"id":131},"_11-sub-processors","11. Sub-processors",[10,134,135],{},"11.1. The Controller acknowledges and agrees that the Processor, may engage a third-party\nSub-processor(s) in connection with the performance of the Services, provided such\nSub-processor(s) take technical and organizational measures to ensure confidentiality of\nPersonal Data shared with them; The current Sub-processors engaged by the Processors and\napproved by the Controller are listed in Annex III of Schedule 1 hereto. In accordance with\nArticle 28(4) of the GDPR, the Processor shall remain liable to Controller for any failure on\nbehalf of a Sub-processor to fulfil its data protection obligations under the DPA in connection\nwith the performance of the Services.",[10,137,138],{},"11.2. If the Controller has a concern that the Sub-processor(s) Processing of Personal Data is\nreasonably likely to cause the Controller to breach its data protection obligations under the\n\f           GDPR, the Controller may object to Processor’s use of such Sub-processor and the Processor\nand Controller shall confer in good faith to address such concern.",[23,140,142],{"id":141},"_12-personal-data-breach-notification","12. Personal Data Breach Notification",[10,144,145],{},"12.1. The Processor shall maintain defined procedures in case of a Personal Data Breach (as\ndefined under the GDPR) and shall without undue delay notify Controller if it becomes aware\nof any Personal Data Breach unless such Data Breach is unlikely to result in a risk to the\nrights and freedoms of natural persons.",[10,147,148],{},"12.2. The Processor shall provide the Controller with all reasonable assistance to comply with the\nnotification of Personal Data Breach to Supervisory Authority and\u002For the Data Subject, to\nidentify the cause of such Data Breach and take such commercially reasonable steps as\nreasonably required to mitigate and remedy such Data Breach.",[10,150,151],{},"12.3. No Acknowledgement of Fault by Processor. Processor’s notification of or response to a\nPersonal Data Breach under this DPA will not be construed as an acknowledgement by\nProcessor of any fault or liability with respect to the data incident.",[23,153,155],{"id":154},"_13-return-and-deletion-of-personal-data","13. Return and Deletion of Personal Data",[10,157,158],{},"13.1.    The Processor shall at least thirty (30) days from the end of the Agreement or cessation of\nthe Processor’s Services under the Agreement, whichever occurs earlier, shall return to the\nController all the Personal Data, or if the Controller so instructs, the Processor shall have\nthe Personal Data deleted. The Processor shall return such Personal Data in a commonly\nused format or in the current format in which it was stored at discretion of the Controller,\nsoon as reasonably practicable following receipt of Controller’s notification.",[10,160,161],{},"13.2.    In any case, the Processor shall delete Personal Data including all the copies of it as soon\nas reasonably practicable following the end of the Agreement.",[23,163,165],{"id":164},"_14-technical-and-organizational-measures","14. Technical and Organizational Measures",[10,167,168,169],{},"Having regard to the state of technological development and the cost of implementing any measures,\nthe Processor will take appropriate technical and organizational measures against the unauthorized\nor unlawful processing of Personal Data and against the accidental loss or destruction of, or damage\nto, Personal Data to ensure a level of security appropriate to: (a) the harm that might result from\nunauthorized or unlawful processing or accidental loss, destruction or damage; and (b) the nature of\nthe data to be protected ",[170,171,172],"span",{},"including the measures stated in Annex II of Schedule 1",[23,174,176],{"id":175},"schedule-1","SCHEDULE 1",[23,178,180],{"id":179},"annex-i","ANNEX I",[23,182,184],{"id":183},"a-list-of-parties","A. LIST OF PARTIES",[10,186,187],{},"Data exporter(s):",[10,189,190],{},"Name : Customer (As set forth in the relevant Order Form).",[10,192,193],{},"Address: As set forth in the relevant Order Form.",[10,195,196],{},"Contact person’s name, position, and contact details: As set forth in the relevant Order Form.",[10,198,199],{},"Activities relevant to the data transferred under these Clauses: Recipient of the Services provided by\nDevStride in accordance with the Agreement.",[10,201,202],{},"Signature and date: Signature and date are set out in the Agreement.",[10,204,205],{},"Role Controller\u002F Processor): Controller",[10,207,208],{},"Data importer(s):",[10,210,211],{},"Name: DevStride",[10,213,214],{},"Address: 200 NE Missouri Rd, STE 200, Lee’s Summit, MO 64086",[10,216,217,218],{},"Contact person’s name, position, and contact details: Craig Ferril, Data Protection Officer,\n",[219,220,222],"a",{"href":221},"mailto:craig@devstride.com","craig@devstride.com",[10,224,225],{},"Activities relevant to the data transferred under these Clauses: Provision of the Services to the\nCustomer in accordance with the Agreement.",[10,227,202],{},[10,229,230],{},"Role (controller\u002Fprocessor): Processor.",[23,232,234],{"id":233},"b-description-of-transfer","B. DESCRIPTION OF TRANSFER",[10,236,237],{},"Categories of data subjects whose personal data is transferred",[10,239,240],{},"Customer’s authorized users of the Services.",[10,242,243],{},"Categories of personal data transferred",[10,245,246],{},"Name, Address, Email, Phone, Username.",[10,248,249],{},"Sensitive data transferred (if applicable) and applied restrictions or safeguards that fully take into\nconsideration the nature of the data and the risks involved, such as for instance strict purpose limitation,\naccess restrictions (including access only for staff having followed specialized training), keeping a record\nof access to the data, restrictions for onward transfers or additional security measures.",[10,251,252],{},"No sensitive data collected.",[10,254,255],{},"The frequency of the transfer (e.g., whether the data is transferred on a one-off or continuous basis).",[10,257,258],{},"Continuous basis",[10,260,261],{},"Nature of the processing\nProvisioning accounts, providing support, communicating updates, and the performance of the\nServices agreed upon in the Agreement and accompanying order forms.\n\fPurpose(s) of the data transfer and further processing",[10,263,264],{},"The purpose of the transfer is to facilitate the performance of the Services more fully described in\nthe Agreement and accompanying order forms.",[10,266,267],{},"The period for which the personal data will be retained, or, if that is not possible, the criteria used to\ndetermine that period",[10,269,270],{},"The period for which the Customer Personal Data will be retained is more fully described in the\nAgreement, Addendum, and accompanying order forms.",[10,272,273],{},"For transfers to (sub-) processors, also specify subject matter, nature, and duration of the processing",[10,275,276],{},"The subject matter, nature, and duration of the Processing more fully described in the Agreement,\nAddendum, and accompanying order forms.",[23,278,280],{"id":279},"c-competent-supervisory-authority","C. COMPETENT SUPERVISORY AUTHORITY",[10,282,283],{},"Data exporter is established in an EEA country.\nThe competent supervisory authority is as determined by application of Clause 13 of the EU SCCs.",[23,285,287],{"id":286},"annex-ii","ANNEX II",[23,289,291],{"id":290},"technical-and-organisational-measures-including-technical-and","TECHNICAL AND ORGANISATIONAL MEASURES INCLUDING TECHNICAL AND",[23,293,295],{"id":294},"organisational-measures-to-ensure-the-security-of-the-data","ORGANISATIONAL MEASURES TO ENSURE THE SECURITY OF THE DATA",[10,297,298],{},"Description of the technical and organisational security measures implemented by DevStride as the data\nprocessor\u002Fdata importer to ensure an appropriate level of security, taking into account the nature, scope,\ncontext, and purpose of the processing, and the risks for the rights and freedoms of natural persons.",[300,301,302,306,309,312,315,318,321,324,327,330,333,336,339,342,345,348,351,354,357,360,363,366,369,372,375,378,381,384,387,390],"ul",{},[303,304,305],"li",{},"Security",[303,307,308],{},"Security Management System.",[303,310,311],{},"Organization. DevStride designates qualified security personnel whose\nresponsibilities include development, implementation, and ongoing maintenance\nof the Information Security Program.",[303,313,314],{},"Policies. Management reviews and supports all security related policies to\nensure the security, availability, integrity and confidentiality of Customer Personal\nData. These policies are updated at least once annually.",[303,316,317],{},"Assessments. DevStride engages a reputable independent third-party to\nperform risk assessments of all systems containing Customer Personal Data at\nleast once annually.",[303,319,320],{},"Risk Treatment. DevStride maintains a formal and effective risk treatment\nprogram that includes penetration testing, vulnerability management and patch\nmanagement to identify and protect against potential threats to the security,\nintegrity or confidentiality of Customer Personal Data.",[303,322,323],{},"Vendor Management. DevStride maintains an effective vendor management\nprogram",[303,325,326],{},"Incident Management. DevStride reviews security incidents regularly, including\neffective determination of root cause and corrective action.",[303,328,329],{},"Standards. DevStride operates an information security management system that\ncomplies with the requirements of ISO\u002FIEC 27001:2022 standard.",[303,331,332],{},"Personnel Security.",[303,334,335],{},"DevStride personnel are required to conduct themselves in a manner consistent\nwith the company’s guidelines regarding confidentiality, business ethics,\nappropriate usage, and professional standards. DevStride conducts reasonably\nappropriate background checks on any employees who will have access to client\ndata under this Agreement, including in relation to employment history and\ncriminal records, to the extent legally permissible and in accordance with\napplicable local labor law, customary practice and statutory regulations.",[303,337,338],{},"Personnel are required to execute a confidentiality agreement in writing at the\ntime of hire and to protect Customer Personal Data at all times. Personnel must\nacknowledge receipt of, and compliance with, DevStride’s confidentiality, privacy\nand security policies. Personnel are provided with privacy and security training\non how to implement and comply with the Information Security Program.\nPersonnel handling Customer Personal Data are required to complete additional\nrequirements appropriate to their role (e.g., certifications). DevStride’s personnel\nwill not process Customer Personal Data without authorization.",[303,340,341],{},"Access Controls",[303,343,344],{},"Access Management. DevStride maintains a formal access management\nprocess for the request, review, approval and provisioning of all personnel with\naccess to Customer Personal Data to limit access to Customer Personal Data\nand systems storing, accessing or transmitting Customer Personal Data to\nproperly authorized persons having a need for such access. Access reviews are\n\f          conducted periodically to ensure that only those personnel with access to\nCustomer Personal Data still require it.",[303,346,347],{},"Infrastructure Security Personnel. DevStride has, and maintains, a security\npolicy for its personnel, and requires security training as part of the training\npackage for its personnel. DevStride’s infrastructure security personnel are\nresponsible for the ongoing monitoring of DevStride’s security infrastructure, the\nreview of the Services, and for responding to security incidents.",[303,349,350],{},"Access Control and Privilege Management. DevStride’s and Customer’s\nadministrators and end users must authenticate themselves via a Multi-Factor\nauthentication system or via a single sign on system in order to use the Services",[303,352,353],{},"Internal Data Access Processes and Policies – Access Policy. DevStride’s\ninternal data access processes and policies are designed to protect against\nunauthorized access, use, disclosure, alteration or destruction of Customer\nPersonal Data. DevStride designs its systems to only allow authorized persons to\naccess data they are authorized to access based on principles of “least\nprivileged” and “need to know”, and to prevent others who should not have\naccess from obtaining access. DevStride requires the use of unique user IDs,\nstrong passwords, two factor authentication and carefully monitored access lists\nto minimize the potential for unauthorized account use. The granting or\nmodification of access rights is based on: the authorized personnel’s job\nresponsibilities; job duty requirements necessary to perform authorized tasks; a\nneed to know basis; and must be in accordance with DevStride’s internal data\naccess policies and training. Approvals are managed by workflow tools that\nmaintain audit records of all changes. Access to systems is logged to create an\naudit trail for accountability. Where passwords are employed for authentication\n(e.g., login to workstations), password policies follow industry standard practices.\nThese standards include password complexity, password expiry, password\nlockout, restrictions on password reuse and re-prompt for password after a\nperiod of inactivity",[303,355,356],{},"Data Center and Network Security",[303,358,359],{},"Data Centers.",[303,361,362],{},"Infrastructure. DevStride has AWS as its data center.",[303,364,365],{},"Resiliency. Multi Availability Zones are enabled on AWS and DevStride\nconducts Backup Restoration Testing on regular basis to ensure\nresiliency.",[303,367,368],{},"Server Operating Systems. DevStride’s servers are customized for the\napplication environment and the servers have been hardened for the\nsecurity of the Services. DevStride employs a code review process to\nincrease the security of the code used to provide the Services and\nenhance the security products in production environments.",[303,370,371],{},"Disaster Recovery. DevStride replicates data over multiple systems to\nhelp to protect against accidental destruction or loss. DevStride has\ndesigned and regularly plans and tests its disaster recovery programs.",[303,373,374],{},"Security Logs. DevStride’s systems have logging enabled to their\nrespective system log facility in order to support the security audits, and\nmonitor and detect actual and attempted attacks on, or intrusions into,\nDevStride’s systems.",[303,376,377],{},"Vulnerability Management. DevStride performs regular vulnerability\nscans on all infrastructure components of its production and development\nenvironment. Vulnerabilities are remediated on a risk basis, with Critical,\nHigh and Medium security patches for all components installed as soon\nas commercially possible.",[303,379,380],{},"Networks and Transmission.",[303,382,383],{},"Data Transmission. Transmissions on production environment are transmitted\nvia Internet standard protocols.\n\f- External Attack Surface. AWS Security Group which is equivalent to virtual\nfirewall is in place for Production environment on AWS.",[303,385,386],{},"Incident Response. DevStride maintains incident management policies and\nprocedures, including detailed security incident escalation procedures. DevStride\nmonitors a variety of communication channels for security incidents, and\nDevStride’s security personnel will react promptly to suspected or known\nincidents, mitigate harmful effects of such security incidents, and document such\nsecurity incidents and their outcomes.",[303,388,389],{},"Encryption Technologies. DevStride makes HTTPS encryption (also referred to\nas SSL or TLS) available for data in transit.",[303,391,392],{},"Data Storage, Isolation, Authentication, and Destruction. DevStride stores data in a\nmulti-tenant environment on AWS servers. Data, the Services database and file system\narchitecture are replicated between multiple availability zones on AWS. DevStride\nlogically isolates the data of different customers. A central authentication system is used\nacross all Services to increase uniform security of data. DevStride ensures secure\ndisposal of Client Data through the use of a series of data destruction processes.",[23,394,396],{"id":395},"annex-iii","ANNEX III",[23,398,400],{"id":399},"list-of-sub-processors","LIST OF SUB-PROCESSORS",[10,402,403],{},"The controller has authorized the use of the following sub-processors:",[405,406,407,424],"table",{},[408,409,410],"thead",{},[411,412,413,418,421],"tr",{},[414,415,417],"th",{"align":416},"left","Sub-processor",[414,419,420],{"align":416},"Description of processing",[414,422,423],{"align":416},"Location",[425,426,427,439,449,459,469],"tbody",{},[411,428,429,433,436],{},[430,431,432],"td",{"align":416},"Amazon Web Services",[430,434,435],{"align":416},"Hosting the Production Environment",[430,437,438],{"align":416},"United States",[411,440,441,444,447],{},[430,442,443],{"align":416},"Neon.tech",[430,445,446],{"align":416},"Database Hosting",[430,448,438],{"align":416},[411,450,451,454,457],{},[430,452,453],{"align":416},"CubeCloud",[430,455,456],{"align":416},"Analytics & BI",[430,458,438],{"align":416},[411,460,461,464,467],{},[430,462,463],{"align":416},"Hubspot",[430,465,466],{"align":416},"Marketing, Interest Fulfillment",[430,468,438],{"align":416},[411,470,471,474,477],{},[430,472,473],{"align":416},"Stripe",[430,475,476],{"align":416},"Payment Processing",[430,478,438],{"align":416},{"title":480,"searchDepth":481,"depth":481,"links":482},"",2,[483,484,485,486,487,488,489,490,491,492,493,494,495,496,497,498,499,500,501,502,503,504,505,506],{"id":25,"depth":481,"text":26},{"id":50,"depth":481,"text":51},{"id":57,"depth":481,"text":58},{"id":64,"depth":481,"text":65},{"id":71,"depth":481,"text":72},{"id":78,"depth":481,"text":79},{"id":85,"depth":481,"text":86},{"id":104,"depth":481,"text":105},{"id":111,"depth":481,"text":112},{"id":124,"depth":481,"text":125},{"id":131,"depth":481,"text":132},{"id":141,"depth":481,"text":142},{"id":154,"depth":481,"text":155},{"id":164,"depth":481,"text":165},{"id":175,"depth":481,"text":176},{"id":179,"depth":481,"text":180},{"id":183,"depth":481,"text":184},{"id":233,"depth":481,"text":234},{"id":279,"depth":481,"text":280},{"id":286,"depth":481,"text":287},{"id":290,"depth":481,"text":291},{"id":294,"depth":481,"text":295},{"id":395,"depth":481,"text":396},{"id":399,"depth":481,"text":400},"md",{},true,"\u002Flegal\u002Fdpa",{"title":5,"description":12},"legal\u002Fdpa","November 4, 2025","2s0tq68l_CgWHmrWlyrxlGQY6uPh2B6o-Ev3pKeYMtA",1785519825200]