Blackhawk’s accountability for personal data that it receives under the Privacy Shield and subsequently transfers to a third party is also described in the Privacy Shield Principles. In particular, Blackhawk remains responsible and liable under the Privacy Shield Principles if third-party agents that it engages to process the personal data on its behalf do so in a manner inconsistent with the Principles.
If you have any questions about Blackhawk’s participation in the Privacy Shield Framework or should you have a general privacy-related question or complaint, we encourage you to contact us at email@example.com.
For any complaints that cannot be resolved with Blackhawk, Blackhawk has chosen to cooperate with EU data protection authorities (DPAs) and comply with the information and advice provided to it by an informal panel of DPAs in relation to such unresolved complaints (as further described in the Privacy Shield Principles). Please contact us to be directed to the relevant DPA contacts. As further explained in the Privacy Shield Principles, a binding arbitration option will also be made available to you in order to address residual complaints not resolved by any other means. Blackhawk is subject to the investigatory and enforcement powers of the U.S. Federal Trade Commission (FTC).
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