Inflection AI · Inflection AI Privacy Policy · View original document ↗

Disclosure to Vendors, Service Providers, and in Corporate Transactions

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Document Record

What it is

The policy authorizes disclosure of personal information to vendors and service providers performing functions including web hosting, cloud storage, content moderation, marketing and advertising, advertising measurement, and customer support. Personal information may also be disclosed during negotiations or completion of mergers, acquisitions, asset sales, or financing transactions.

This analysis describes what Inflection AI'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)

This provision authorizes disclosure of personal information to a range of third-party vendors across operational functions, and separately permits disclosure during corporate transaction negotiations before any transaction is completed. The advertising measurement category of vendor is relevant for users who have not opted out of marketing-related data processing.

Recent Activity

This document changed recently

Medium Jun 16, 2026

The updated policy establishes broader data collection practices than previously disclosed. The terms now explicitly state the company collects voice and audio inputs alongside text, whereas prior language specified only text and other materials. Additionally, the policy now discloses collection of precise geolocation information with user consent and authorization to access contacts, emails, calendars, and documents from third-party platforms. You can stop collection of precise location information at any time through the Your Choices section.

View change record →

Consumer impact (what this means for users)

Under this provision, Inflection AI may share personal information with vendors performing advertising measurement and content moderation functions, among others. Personal information may also be transferred to a new entity in connection with a merger, acquisition, or asset sale, which could result in a change in how that information is processed.

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
    Submit a data deletion or erasure request by emailing privacy@inflection.ai with your request details.

Cross-platform context

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▸ View Original Clause Language DOCUMENT RECORD
"
Vendors and Service Providers . We make personal information available to our vendors, service providers, contractors and consultants who perform services on our behalf, such as companies that assist us with web hosting , cloud computing and storage, maintenance, security, content moderation, marketing and advertising, advertising measurement, and customer support. [...] Corporate Transactions . We disclose personal information in connection with, or during negotiations of, certain corporate transactions, including a merger, sale of company assets, financing, or acquisition of all or a portion of our business by another company.

Excerpt from Inflection AI's Privacy Policy

ConductAtlas Analysis

Institutional analysis (regulatory & governance intelligence)

1. REGULATORY LANDSCAPE: Third-party vendor data sharing implicates GDPR Article 28 processor requirements for EU users, requiring that data processing agreements be in place with each vendor. The CCPA and CPRA are engaged for California residents with respect to the scope of third-party sharing and whether any sharing constitutes a sale or sharing of personal information under those laws. The document states that Inflection AI does not engage in sales or sharing for targeted advertising purposes as defined by U.S. state privacy laws, but sharing with advertising measurement vendors may require evaluation under applicable law. Relevant enforcement authorities include EU and UK Data Protection Authorities, the California Privacy Protection Agency, and the FTC. 2. GOVERNANCE EXPOSURE: Medium. The advertising measurement vendor category is relevant for GDPR and CCPA compliance. The corporate transaction disclosure provision permits sharing of personal information during negotiations, which may occur before any regulatory notification or user notice is provided. GDPR requires that data subjects be informed of material changes in processing arising from corporate transactions. 3. JURISDICTION FLAGS: EU and EEA users require GDPR-compliant data processing agreements with all vendors. California residents should evaluate whether sharing with advertising measurement vendors is consistent with the stated non-engagement in targeted advertising sharing. Illinois, New York, and other states with comprehensive privacy laws may also be engaged. 4. CONTRACT AND VENDOR IMPLICATIONS: Procurement teams should confirm that data processing agreements are in place with all vendors listed in the disclosure categories. The corporate transaction provision may require change-of-control notification obligations to be built into vendor and partner contracts. 5. COMPLIANCE CONSIDERATIONS: Legal teams should audit the current vendor list against the disclosure categories to confirm data processing agreements are current and accurate. The advertising measurement vendor disclosure should be reviewed against GDPR and CCPA definitions of third-party sharing to confirm the stated non-engagement in targeted advertising sharing is accurate. Corporate transaction protocols should include data protection notification planning.

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Applicable agencies

  • FTC
    The FTC has authority over consumer data sharing practices with third-party vendors and the accuracy of disclosures in consumer-facing privacy policies.
    File a complaint →

Provision details

Document information
Document
Inflection AI Privacy Policy
Entity
Inflection AI
Document last updated
May 5, 2026
Tracking information
First tracked
July 9, 2026
Last verified
July 9, 2026
Record ID
CA-P-015506
Document ID
CA-D-00482
Evidence Provenance
Source URL
Wayback Machine
Content hash (SHA-256)
380c831ae8fa8ddf4e3c09c1cb6593a849af62a028c741a55a9486eff86aed05
Analysis generated
July 9, 2026 08:08 UTC
Methodology
Evidence
✓ Snapshot stored   ✓ Hash verified
Citation Record
Entity: Inflection AI
Document: Inflection AI Privacy Policy
Record ID: CA-P-015506
Captured: 2026-07-09 08:08:03 UTC
SHA-256: 380c831ae8fa8ddf…
URL: https://conductatlas.com/platform/inflection-ai/inflection-ai-privacy-policy/provision/CA-P-015506/disclosure-to-vendors-service-providers-and-in-corporate-transactions/
Accessed: July 24, 2026
Permanent archival reference. Stable identifier suitable for legal filings, compliance documentation, and research citation.
Classification
Severity
Medium
Categories

Other risks in this policy

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Frequently Asked Questions

What does Inflection AI's Disclosure to Vendors, Service Providers, and in Corporate Transactions clause do?

This provision authorizes disclosure of personal information to a range of third-party vendors across operational functions, and separately permits disclosure during corporate transaction negotiations before any transaction is completed. The advertising measurement category of vendor is relevant for users who have not opted out of marketing-related data processing.

How does this clause affect you?

Under this provision, Inflection AI may share personal information with vendors performing advertising measurement and content moderation functions, among others. Personal information may also be transferred to a new entity in connection with a merger, acquisition, or asset sale, which could result in a change in how that information is processed.

Is ConductAtlas affiliated with Inflection AI?

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