Last Updated: 01 September 2026
Contact Email: privacy@huzzeno.com
At Huzzeno, we are committed to the security and transparency of our data processing activities. To support the delivery of our Platform and provide a robust, reliable service, we engage third-party service providers ("Subprocessors") to assist with our operations.
We mandate that all Subprocessors undergo a rigorous security and privacy assessment. We execute Data Processing Agreements (DPAs) and, where applicable, Standard Contractual Clauses (SCCs) with each vendor to ensure that your data remains protected to the highest statutory standards, including the requirements of the UK and EU GDPR.
We are committed to keeping our Business Customers informed about the entities that process their data. In the event that we introduce a new category of data processing or implement a material change to our subprocessor architecture that fundamentally alters the nature or risk profile of your data processing, we will provide notification to our registered workspace administrators via email.
We categorise our Subprocessors based on the functional role they provide to our platform. This categorization ensures transparency regarding how your data is handled while maintaining the security and integrity of our proprietary technical infrastructure.
Functional Category | Purpose of Processing | Processing Location(s) |
|---|---|---|
Cloud Infrastructure & Hosting | Primary cloud hosting, database management, and persistent data storage. | Global |
Edge Network & Security | Content delivery, DNS routing, and DDoS mitigation/WAF. | Global |
Application Performance & Diagnostics | Real-time error tracking, crash reporting, and stability monitoring. | Global |
Transactional Communications | Delivery of system emails, password resets, and account alerts. | Global |
Payment Processing & Billing | Secure payment gateway, subscription management, and fraud mitigation. | Global |
For Business Customers requiring the specific identity of a vendor within these categories for the purposes of a formal Data Protection Impact Assessment (DPIA) or internal security audit, we provide a detailed registry of our specific Subprocessors upon request.
To request the detailed Subprocessor Registry, please contact our Compliance Team at Contact Email.
Note: Access to the detailed registry is provided to verified Business Customers under standard commercial confidentiality or non-disclosure terms to ensure the continued security of our platform architecture.
If you are a Business Customer acting as a Data Controller under our DPA, you have the right to reasonably object to the addition of a new Subprocessor on data protection grounds.
If you wish to raise an objection following a material change notification, please contact us at Contact Email within 14 days of the notice, detailing the specific legal or security grounds for your objection.