The notice expressly excludes Customer Data processed under the Platform Agreement from its scope, meaning the data processing practices of enterprise customers using the Anyscale platform are governed by the Platform Agreement and each customer's own privacy policies, not this notice.
This analysis describes what Anyscale's agreement states, permits, or reserves. It does not constitute a legal determination about enforceability. Regulatory applicability and practical outcomes may vary by jurisdiction, enforcement context, and individual circumstances. Read our methodology
This provision establishes a structural boundary between Anyscale's own data processing and the data processing it performs as a service provider to enterprise customers. Individuals whose data is processed by an Anyscale customer through the Platform Services must direct privacy inquiries to that customer, not to Anyscale.
Provision renamed from 'Customer Data Carve-Out' to 'Customer Data Exclusion from Notice Scope' but text remains identical.
View full change record →Under this clause, personal data submitted to or processed through Anyscale's Platform Services by enterprise customers is governed by the Platform Agreement and the enterprise customer's own privacy policies; this notice and the rights it describes do not apply to that data. Individuals seeking to exercise rights over data held by an Anyscale customer should contact that customer directly.
How other platforms handle this
to request that your data be transferred to a third party (data portability)
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Client will not... (ii) interfere with any independent efforts by Plaid to provide End User notice or obtain End User consent
"This Privacy Notice does not apply to (i) Customer Data (as defined in the Platform Agreement); or (ii) any products, services, websites, or content that are offered by third parties or that have their own privacy notice. Our Customers' respective privacy policies govern their collection and use of Customer Data. Any questions or requests relating to Customer Data should be directed to our customer.Excerpt from Anyscale's Privacy Policy
(1) REGULATORY LANDSCAPE: This provision reflects the controller-processor distinction under GDPR, where Anyscale acts as a data processor for Customer Data and the enterprise customer acts as the controller.
Enforcement risk, jurisdiction flags, contract triggers, and due diligence action items.
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This provision establishes a structural boundary between Anyscale's own data processing and the data processing it performs as a service provider to enterprise customers. Individuals whose data is processed by an Anyscale customer through the Platform Services must direct privacy inquiries to that customer, not to Anyscale.
Under this clause, personal data submitted to or processed through Anyscale's Platform Services by enterprise customers is governed by the Platform Agreement and the enterprise customer's own privacy policies; this notice and the rights it describes do not apply to that data. Individuals seeking to exercise rights over data held by an Anyscale customer should contact that customer directly.
ConductAtlas has identified this type of provision across 290 platforms. See the full comparison.
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