Cerebras · Cerebras Privacy Policy · View original document ↗

Third-Party Data Enrichment and Combination

Medium severity High confidence Explicitdocumentlanguage Unique · 0 of 325 platforms
Share 𝕏 Share in Share 🔒 PDF
Monitor governance changes for Cerebras Create a free account to receive the weekly governance digest and monitor one platform for governance changes.
Create free account No credit card required.
Document Record

What it is

Cerebras may add information about you from LinkedIn, Facebook, Twitter, Google, public databases, and marketing partners to the profile it builds from your own direct interactions with the company.

This analysis describes what Cerebras'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

ConductAtlas Analysis

Why it matters (compliance & governance perspective)

The clause establishes the procedural framework for data integration across multiple sources, enabling the organization to consolidate Personal Data from third-party sources with internally-collected information to create a more comprehensive data profile for each user.

Consumer impact (what this means for users)

Your personal data held by Cerebras may extend beyond what you submitted directly, incorporating data from social networks and public databases; this affects how comprehensively the company can target you for marketing and what data may be shared with partners or transferred in a business acquisition.

What you can do

⚠️ These actions may provide transparency or partial mitigation but may not fully address the underlying issue. Effectiveness varies by jurisdiction and individual circumstances.
  • Delete Your Data
    Email privacy@cerebras.ai to request access to or deletion of personal data Cerebras holds about you, including data sourced from third parties. Identify yourself and specify the data categories or sources you are concerned about.

Cross-platform context

See how other platforms handle Third-Party Data Enrichment and Combination and similar clauses.

Compare across platforms →

Monitoring

Cerebras has changed this document before.

Receive same-day alerts, structured change summaries, and monitoring for up to 10 platforms.

Start Watcher free trial Or create a free account →
▸ View Original Clause Language DOCUMENT RECORD
"
We may receive or collect Personal Data about you from affiliates or non-affiliated parties, such as marketing partners or providers, public and other databases, social media platforms such as LinkedIn, Facebook, Twitter, or Google, or from conference or event hosts. As permitted by law, we may combine information that we collect from you through the Services with information that we obtain from such other parties and information derived from other products or Services we provide.

— Excerpt from Cerebras's Cerebras Privacy Policy

ConductAtlas Analysis

Institutional analysis (Compliance & governance intelligence)

REGULATORY LANDSCAPE: This provision implicates CCPA and CPRA disclosure obligations regarding categories of personal information collected and sources from which it is obtained. Under GDPR, combining data from third-party sources may require a lawful basis and, in some cases, notification to data subjects under Article 14. The FTC Act governs whether such combination practices are adequately disclosed. State_AG offices in California and other states with comprehensive privacy laws may scrutinize undisclosed or inadequately disclosed third-party data sourcing. GOVERNANCE EXPOSURE: Medium. The provision is broadly drafted to include named social media platforms and unspecified public and commercial databases. The qualifier 'as permitted by law' introduces jurisdiction-dependent variability in how this practice is lawfully implemented, and legal teams must assess applicable consent or legitimate interest requirements in each relevant jurisdiction. JURISDICTION FLAGS: EU and UK users face heightened exposure because GDPR requires that when personal data is obtained from third parties, data subjects must generally be informed of the source and the legal basis for processing. California residents have rights to know the categories of sources from which their data is collected, which this policy partially addresses. Illinois, New York, and other states with evolving privacy frameworks may impose additional requirements. CONTRACT AND VENDOR IMPLICATIONS: Enterprise customers should assess whether data enrichment practices affect their obligations to their own end users and whether their data processing agreements with Cerebras adequately address the use of third-party sourced data in service delivery. Marketing technology vendors providing enrichment data should be evaluated as subprocessors. COMPLIANCE CONSIDERATIONS: Legal teams should conduct a data mapping exercise to identify all third-party data sources in use, verify that appropriate contractual and consent mechanisms are in place with each source, and assess whether user-facing disclosures adequately describe the enrichment practice in terms required by applicable law.

Full compliance analysis

Regulatory citations, enforcement risk, and due diligence action items.

Track 1 platform — free Try Watcher free for 14 days

Free: track 1 platform + weekly digest. Watcher: 10 platforms + same-day alerts. No credit card required.

Applicable agencies

  • FTC
    The FTC oversees whether third-party data collection and combination practices are adequately disclosed and whether they constitute unfair or deceptive practices.
    File a complaint →
  • State AG
    California and other state attorneys general may evaluate whether third-party data sourcing and enrichment practices comply with CCPA, CPRA, and analogous state privacy laws.
    File a complaint →

Provision details

Document information
Document
Cerebras Privacy Policy
Entity
Cerebras
Document last updated
May 5, 2026
Tracking information
First tracked
April 30, 2026
Last verified
May 10, 2026
Record ID
CA-P-009366
Document ID
CA-D-00507
Evidence Provenance
Source URL
Wayback Machine
Content hash (SHA-256)
86e395c40a697b29e8d57f825310d4bb5e39b3d51188253164d73f5d4955e11f
Analysis generated
April 30, 2026 09:02 UTC
Methodology
Evidence
✓ Snapshot stored   ✓ Hash verified
Citation Record
Entity: Cerebras
Document: Cerebras Privacy Policy
Record ID: CA-P-009366
Captured: 2026-04-30 09:02:08 UTC
SHA-256: 86e395c40a697b29…
URL: https://conductatlas.com/platform/cerebras/cerebras-privacy-policy/third-party-data-enrichment-and-combination/
Accessed: May 20, 2026
Permanent archival reference. Stable identifier suitable for legal filings, compliance documentation, and research citation.
Classification
Severity
Medium
Categories

Other risks in this policy

Professional Governance Intelligence

Need to monitor specific governance provisions?

Professional includes provision-level monitoring, governance timelines, regulatory mapping, and audit-ready analysis.

Arbitration clauses AI governance Data rights Indemnification Retention policies
Start Professional free trial

Or start with Watcher →

Built from archived source documents, structured governance mappings, and historical version tracking.

Frequently Asked Questions

What does Cerebras's Third-Party Data Enrichment and Combination clause do?

The clause establishes the procedural framework for data integration across multiple sources, enabling the organization to consolidate Personal Data from third-party sources with internally-collected information to create a more comprehensive data profile for each user.

How does this clause affect you?

Your personal data held by Cerebras may extend beyond what you submitted directly, incorporating data from social networks and public databases; this affects how comprehensively the company can target you for marketing and what data may be shared with partners or transferred in a business acquisition.

Is ConductAtlas affiliated with Cerebras?

No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Cerebras.