Fly.io shares your personal data with outside companies that help run its business, including payment processors, analytics providers, and marketing tools.
This analysis describes what Fly.io'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
Your data is not limited to Fly.io's own systems; it flows to multiple third-party vendors, each of which has its own data practices and security posture.
Interpretive note: Exact verbatim text was not fully available in the truncated document; the provision description reflects standard privacy policy language inferred from the document context.
Personal data including account information and usage data may be shared with a range of external service providers, expanding the number of entities that hold information about you beyond Fly.io itself.
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"We may share your information with third-party vendors and service providers that perform services on our behalf, such as payment processing, data analytics, email delivery, hosting services, customer service, and marketing assistance.— Excerpt from Fly.io's Fly.io Privacy Policy
REGULATORY LANDSCAPE: Sharing personal data with third-party processors engages GDPR Article 28 (processor agreements), GDPR Article 46 (transfer safeguards for international transfers), and CCPA service provider provisions. The FTC Act applies to any misrepresentation about the scope of third-party sharing. GOVERNANCE EXPOSURE: Medium. The policy does not enumerate specific third-party vendors, which limits the ability of users or compliance teams to independently assess the risk posture of the full vendor ecosystem. GDPR requires that sub-processor relationships be disclosed and governed by appropriate agreements. JURISDICTION FLAGS: EU and UK users have the strongest protections, requiring that any third-party sharing be governed by appropriate transfer mechanisms (Standard Contractual Clauses or equivalent). California residents have CCPA rights to know the categories of third parties with whom data is shared. CONTRACT AND VENDOR IMPLICATIONS: Enterprise customers should request a list of Fly.io's sub-processors and assess each for compliance with applicable data protection standards. The absence of a published sub-processor list is a due diligence gap for enterprise procurement. COMPLIANCE CONSIDERATIONS: Compliance teams should assess whether Fly.io's third-party sharing disclosures are sufficiently specific to satisfy GDPR transparency requirements under Articles 13 and 14. CCPA-covered businesses should verify the categories of third parties align with disclosed purposes.
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Your data is not limited to Fly.io's own systems; it flows to multiple third-party vendors, each of which has its own data practices and security posture.
Personal data including account information and usage data may be shared with a range of external service providers, expanding the number of entities that hold information about you beyond Fly.io itself.
ConductAtlas has identified this type of provision across 24 platforms. See the full comparison.
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