The policy discloses that personal information collected from users outside the United States is transferred to and processed in the United States, where data protection laws differ from those of the user's home country; the policy references consent as one basis for this transfer.
This analysis describes what Faire'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 the cross-border transfer basis for non-US users' personal data; the reliance on user consent as a transfer mechanism for EU/EEA users may require evaluation against GDPR Chapter V requirements and post-Schrems II guidance, as the European Data Protection Board has indicated that general consent embedded in terms of service is not a valid Article 49 derogation for systematic transfers.
Interpretive note: The policy references consent as a transfer basis for EU/EEA users, but the adequacy of this mechanism under GDPR Chapter V and EDPB guidance on Article 49 derogations is subject to regulatory interpretation; the policy may rely on SCCs or other mechanisms not fully disclosed in this section.
Under this provision, personal data of non-US users, including EU/EEA and UK users, is transferred to and stored in the United States. The policy references consent as a transfer basis, though for EU/EEA users, the adequacy of this mechanism under GDPR Chapter V and the availability of Standard Contractual Clauses or other transfer tools may require separate verification.
Cross-platform context
See how other platforms handle Cross-Border Data Transfers and similar clauses.
Compare across platforms →"If you are located outside of the United States, please be aware that information we collect, including personal information, will be transferred to, and processed, stored, and used in the United States. The data protection laws in the US may differ from those of the country in which you are located, and your personal information may be subject to access requests from governments, courts, or law enforcement in the United States according to laws of the United States. By using our Services or providing us with any information, you consent to this transfer, processing, storage, and use of your information in the United States in accordance with this Privacy Policy.Excerpt from Faire's Privacy Policy
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This provision establishes the cross-border transfer basis for non-US users' personal data; the reliance on user consent as a transfer mechanism for EU/EEA users may require evaluation against GDPR Chapter V requirements and post-Schrems II guidance, as the European Data Protection Board has indicated that general consent embedded in terms of service is not a valid Article 49 derogation for …
Under this provision, personal data of non-US users, including EU/EEA and UK users, is transferred to and stored in the United States. The policy references consent as a transfer basis, though for EU/EEA users, the adequacy of this mechanism under GDPR Chapter V and the availability of Standard Contractual Clauses or other transfer tools may require separate verification.
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