Figma's platform may link to or integrate with third-party websites and services that Figma does not control or take responsibility for. Users should review those third parties' own terms and privacy policies.
This analysis describes what Figma'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
Third-party integrations and plugins available within Figma operate under their own terms, and Figma does not accept responsibility for how those third parties handle your data or content.
The removal of the Subprocessors list link makes it less convenient for users, particularly enterprise and EU-based customers who rely on this information for data protection compliance, to verify which third parties Figma engages to process their data. While the subprocessor information may still exist on Figma's website, removing the direct link from the Terms of Service reduces accessibility and transparency. Enterprise customers and those subject to GDPR may need to contact Figma directly to access current subprocessor information.
View change record →This new provision disclaims Figma's responsibility for third-party content and services linked through the platform, limiting liability for user interactions with external services.
View full change record →If you use third-party plugins or integrations within Figma, those services have their own privacy and data practices that Figma does not oversee. You should review the terms and privacy policies of any third-party tool you connect to Figma.
How other platforms handle this
At Ledger, earning and maintaining our users' trust is a top priority. That's why we are deeply committed not only to protecting your privacy and securing your personal data, but also to being fully transparent about how we handle it.
We may share your information with third-party vendors and service providers that perform services on our behalf, such as payment processing, data analysis, email delivery, hosting services, customer service, and marketing assistance. We may also share your information with third-party advertising p...
We may also share your personal information with third parties that assist us in providing our services, or where we are under an obligation to report to. But rest assured: we will only ever share your personal information in the limited circumstances described in this Policy.
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Figma has changed this document before.
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"The Services may contain links to third-party websites or services that are not owned or controlled by Figma. Figma has no control over, and assumes no responsibility for, the content, privacy policies, or practices of any third-party websites or services. We strongly advise you to read the terms and conditions and privacy policy of any third-party website or service that you visit.— Excerpt from Figma's Figma Terms of Service
(1) REGULATORY LANDSCAPE: Third-party integration disclaimers are standard in SaaS agreements. However, where third-party plugins process personal data of EU individuals, GDPR may require a separate assessment of those processors and appropriate safeguards. CCPA similarly requires transparency about third-party data sharing. (2) GOVERNANCE EXPOSURE: Low to Medium for enterprise users. Organizations using Figma with third-party plugins should conduct vendor assessments for those plugins, as data flows to third parties may not be covered by Figma's DPA. (3) JURISDICTION FLAGS: EU/EEA users face heightened exposure where third-party integrations process personal data; GDPR requires lawful basis and appropriate safeguards for all data transfers. California users should assess CCPA implications of third-party data sharing through Figma integrations. (4) CONTRACT AND VENDOR IMPLICATIONS: Enterprise procurement teams should maintain an inventory of approved Figma plugins and integrations, conduct vendor assessments for each, and ensure DPA coverage is in place where applicable. (5) COMPLIANCE CONSIDERATIONS: Organizations should audit third-party plugins enabled in their Figma workspace, review applicable privacy policies, and assess whether any plugins create data transfer obligations under GDPR or CCPA.
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ConductAtlas detected a major restructuring of Meta’s privacy policy that removed detailed consumer rights disclosures and relocated them to separate documents.
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Third-party integrations and plugins available within Figma operate under their own terms, and Figma does not accept responsibility for how those third parties handle your data or content.
If you use third-party plugins or integrations within Figma, those services have their own privacy and data practices that Figma does not oversee. You should review the terms and privacy policies of any third-party tool you connect to Figma.
ConductAtlas has identified this type of provision across 1 platforms. See the full comparison.
No. ConductAtlas is an independent monitoring service. We are not affiliated with, endorsed by, or sponsored by Figma.