International Transfers of Information

We may transfer your Personal Information to recipients in other countries.

Because of the international nature of our business, we may need to transfer your User Information within the Ruboss group of companies, and to third parties as noted in the User Information Disclosure section, in connection with the purposes set out in this Policy. For this reason, we may transfer your User Information to other countries that may have different laws and data protection compliance requirements to those that apply in the country in which you are located.

Ruboss is a Canadian company and so may not participate in the E.U.-U.S. Privacy Shield Framework. However, Ruboss is committed to the principles upon which the framework is founded.

In certain situations, Ruboss may be required to disclose Personal Information in response to lawful requests by public authorities, including to meet national security or law enforcement requirements.

If you are a European individual with a privacy related complaint, concern or question about Ruboss’ privacy practices, please contact us by writing to privacy@leanpub.com and we will respond within a reasonable timeframe after receiving your request.

Where we transfer your Personal Information from the EEA to recipients located outside the EEA who are not in a jurisdiction that has been formally designated by the European Commission as providing an adequate level of protection for Personal Information, we do so on the basis of standard contractual clauses.

Please note that when you transfer any Personal Information directly to a Company entity established outside the EEA, we are not responsible for that transfer of your Personal Information. We will nevertheless Process your Personal Information, from the point at which we receive the data, in accordance with the provisions of this Privacy Policy.