In these Terms and Conditions ("Agreement"), the following definitions apply unless context requires otherwise:
References to statutes include amendments and re-enactments. Headings are for convenience only. "Including" means including without limitation. This Agreement is governed by the laws of England and Wales.
These Terms and Conditions apply to all Services provided by ZELOFUN LIMITED, 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ ("Supplier", "we", "us"). A binding contract arises when the Client accepts a quotation, signs a Statement of Work, clicks an acceptance mechanism, or commences use of Deliverables with our written acknowledgement. The following documents form the contract hierarchy: (1) executed Statement of Work; (2) these Terms and Conditions; (3) applicable data processing agreement; (4) Privacy Policy and security schedules. Conflicts are resolved in that order unless the SOW expressly states otherwise.
Quotations are valid for thirty days unless stated otherwise. We may decline engagements that present unacceptable legal, reputational, or ethical risk, including unlawful surveillance, discriminatory deployment, or biometric processing without adequate lawful basis.
ZELOFUN LIMITED provides professional facial recognition app development and biometric technology services including but not limited to: requirements discovery and architecture design; mobile and web application development incorporating face capture and matching; integration with client systems and third-party identity providers; liveness detection and anti-spoofing implementation; model training support and accuracy benchmarking; deployment assistance; maintenance and support; and consultancy on UK GDPR, DPA 2018, and ICO compliance for biometric deployments.
Services are described in each Statement of Work. Unless expressly included, Services exclude: hardware procurement; ongoing cloud infrastructure costs; legal advice; ICO registration on Client's behalf; operational monitoring of live systems except as contracted; and data controller obligations that remain with the Client for end-user facing processing.
The Client shall: provide timely access to personnel, systems, specifications, and test data necessary for performance; ensure lawful basis for any personal data or Biometric Data supplied to us; obtain explicit consent or other valid Article 9 condition before transferring special category data; conduct or commission data protection impact assessments where required; provide accurate project requirements; review Deliverables within agreed acceptance periods; and comply with all applicable laws including equality, employment, and sector-specific regulations for biometric systems.
Delays caused by Client failure may extend timelines and incur additional fees. The Client warrants it has authority to provide data and instructions and that processing we perform on its instructions does not violate third-party rights.
Projects follow milestones defined in the SOW. We assign a project lead; the Client assigns a counterpart with decision authority. Steering meetings occur at intervals specified in the SOW or monthly by default. Change requests require written approval and may adjust fees and schedules. Risk registers addressing biometric accuracy, security, and regulatory change are maintained for enterprise engagements.
Fees are stated in the SOW in pounds sterling unless otherwise agreed. Invoices are payable within thirty days of issue. Time-and-materials work is billed monthly in arrears at agreed rates. Fixed-price engagements follow milestone payment schedules. Late payment accrues interest at eight percent per annum above Bank of England base rate pursuant to the Late Payment of Commercial Debts (Interest) Act 1998. We may suspend Services for overdue amounts exceeding fourteen days after written notice.
Expenses are reimbursable when pre-approved. VAT is charged where applicable. Client bears bank transfer fees for international payments unless otherwise agreed.
Deliverables are subject to acceptance criteria in the SOW. The Client has ten business days from delivery to test and notify defects or accept. Absence of notice constitutes deemed acceptance except for latent defects not reasonably discoverable. We will remedy material non-conformities within reasonable time at no additional fee if defects result from our failure to meet specifications. Enhancement requests are treated as change orders.
Pre-existing Intellectual Property Rights of each party remain with that party. We grant the Client a non-exclusive, perpetual, worldwide licence to use Deliverables created specifically for the Client upon full payment, limited to internal business purposes unless broader licence is stated in the SOW. Our frameworks, libraries, tools, methodologies, and general know-how remain our property; the Client receives licence to embedded components necessary to operate Deliverables.
Open source components are subject to their respective licences, documented in deliverable materials. The Client may not reverse engineer proprietary algorithms except where statutory rights cannot be excluded. We may reuse general skills, ideas, and non-confidential techniques developed during the engagement.
Each party shall keep confidential all non-public information disclosed by the other, including technical designs, biometric accuracy metrics, security architectures, business plans, and pricing. Confidentiality obligations survive five years from disclosure or indefinitely for trade secrets. Exclusions apply to publicly available information, independently developed information, and information required to be disclosed by law with prior notice where permitted.
Parties shall comply with UK GDPR, DPA 2018, PECR, and ICO guidance. Roles are allocated in the SOW and data processing agreement. Typically, the Client is controller for end-user Biometric Data; we act as processor when processing on documented instructions. We shall process personal data only on instructions, implement Article 32 security measures, assist with data subject rights and DPIAs, notify breaches without undue delay, and maintain Article 30 records.
Biometric Data requires Article 9 lawful condition. The Client is responsible for determining and documenting the condition, providing transparent privacy information, and enabling rights exercise. We implement technical measures including encryption, access controls, template protection, retention limits, and secure deletion.
Client deployments must incorporate appropriate human oversight where decisions produce legal or significant effects, accuracy testing across demographic groups where feasible, bias mitigation, and clear user notices before capture. We do not warrant suitability for unlawful mass surveillance or covert identification.
We may engage subprocessors listed in the DPA or notified with objection rights. Subprocessors are bound by equivalent obligations.
Transfers outside the UK use approved mechanisms including UK IDTA or adequacy decisions.
We maintain administrative, technical, and physical safeguards appropriate to Biometric Data risk, aligned with ICO security expectations and industry standards for facial recognition systems. Measures include secure software development lifecycle practices, penetration testing for major releases, vulnerability patching, employee background checks where appropriate, and incident response. The Client is responsible for secure configuration of production environments under its control.
We warrant Services will be performed with reasonable skill and care by appropriately qualified personnel. Deliverables will materially conform to SOW specifications for ninety days from acceptance ("Warranty Period"). Exclusive remedy for breach of warranty is re-performance or refund of fees paid for non-conforming Deliverables at our election.
EXCEPT AS EXPRESSLY STATED, SERVICES AND DELIVERABLES ARE PROVIDED WITHOUT OTHER WARRANTIES, EXPRESS OR IMPLIED, INCLUDING MERCHANTABILITY OR FITNESS FOR PARTICULAR PURPOSE. Facial recognition accuracy depends on environmental factors, data quality, and Client implementation. We do not warrant zero false accept or false reject rates.
NEITHER PARTY SHALL BE LIABLE FOR INDIRECT, INCIDENTAL, SPECIAL, CONSEQUENTIAL, OR PUNITIVE DAMAGES, LOSS OF PROFITS, REVENUE, DATA, OR GOODWILL. OUR TOTAL AGGREGATE LIABILITY ARISING UNDER OR IN CONNECTION WITH THIS AGREEMENT SHALL NOT EXCEED THE FEES PAID OR PAYABLE BY THE CLIENT IN THE TWELVE MONTHS PRECEDING THE CLAIM, EXCEPT FOR: (A) DEATH OR PERSONAL INJURY CAUSED BY NEGLIGENCE; (B) FRAUD; (C) BREACH OF CONFIDENTIALITY; (D) CLIENT'S PAYMENT OBLIGATIONS; (E) LIABILITY THAT CANNOT BE LIMITED BY LAW.
Biometric system failures may have significant consequences; the Client acknowledges responsibility for operational policies, fallback procedures, and regulatory compliance beyond our reasonable control.
The Client shall indemnify us against claims arising from Client instructions, unlawful deployment, missing lawful basis for Biometric Data, violation of employment or equality law in biometric workforce monitoring, or combination of Deliverables with non-approved third-party components. We shall indemnify the Client against third-party claims that Deliverables infringe UK intellectual property rights, subject to prompt notice and cooperation, excluding claims from Client modifications or combinations.
Agreement term commences on SOW effective date and continues until completion or termination. Either party may terminate for material breach not cured within thirty days of written notice. Either party may terminate for insolvency events. Client may terminate for convenience with thirty days notice, paying fees for work performed and non-cancellable commitments.
Upon termination, we deliver work-in-progress upon payment. Client data and Biometric Data are returned or deleted per DPA within agreed timeframe. Licences to paid Deliverables survive termination for continued use as licensed. Sections on confidentiality, IP, liability, indemnity, and governing law survive.
Neither party is liable for failure due to events beyond reasonable control including natural disasters, war, terrorism, pandemic, government action, or critical infrastructure failure, provided notice and mitigation efforts. Payment obligations are not excused.
During engagement and twelve months thereafter, neither party shall solicit for employment key personnel directly involved in the project without consent, except general advertisements not targeted at specific individuals.
Client shall not use Services for unlawful discrimination, covert surveillance violating reasonable expectation of privacy, or processing children's Biometric Data without appropriate safeguards and lawful basis. We support ethical AI principles including transparency, accountability, and human dignity in biometric design.
Upon reasonable notice, Client may audit our compliance with DPA obligations once annually or following material breach allegation, subject to confidentiality and minimal disruption. We may provide third-party audit reports as alternative.
We maintain professional indemnity and cyber liability insurance at commercially reasonable levels. Certificates available on request.
Neither party shall use the other's name or logo in marketing without prior written approval, except legal disclosures or portfolio references pre-approved in writing.
Neither party may assign without consent, except to affiliates or acquirers of substantially all assets with notice. Unauthorised assignment is void.
Notices shall be in writing to addresses in the SOW or 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ, or email to helpdesk@zelofun.diy for Supplier. Deemed received on business day delivery if by hand, two business days if by post within UK, or on transmission if email without bounce-back.
Parties shall attempt good faith negotiation for thirty days before litigation. Optional mediation by mutual agreement under CEDR or similar rules in London. Nothing prevents urgent injunctive relief.
This Agreement is governed by the laws of England and Wales. Courts of England and Wales have exclusive jurisdiction. The United Nations Convention on Contracts for the International Sale of Goods does not apply.
Entire agreement clause supersedes prior discussions except fraud. Amendments require writing signed by authorised representatives. Waiver must be written. Severability preserves remainder. No partnership or agency is created. Third-party rights under Contracts (Rights of Third Parties) Act 1999 are excluded except expressly stated.
ZELOFUN LIMITED, 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ, helpdesk@zelofun.diy, +44 7853 281824, https://zelofun.diy. For contractual notices mark attention: Commercial Contracts.
All facial recognition software developed under this Agreement follows secure coding standards, version control, code review, and documented release procedures. Source code repositories are access-controlled. Build pipelines incorporate automated testing for regression in face matching accuracy where test datasets are available. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that software development standards is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
We conduct functional, integration, performance, and security testing appropriate to the SOW. Biometric accuracy testing uses defined thresholds, labelled datasets, and reporting of false match rate and false non-match rate metrics. Client participates in user acceptance testing in representative environments. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that testing and quality assurance is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Documentation includes architecture diagrams, API references, deployment guides, privacy implementation notes, and administrator manuals. Documentation is provided in English unless otherwise agreed. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that documentation deliverables is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Support levels, response times, and maintenance windows are specified in the SOW or separate support agreement. Emergency security patches for critical vulnerabilities in our Deliverables are provided during support term subject to terms therein. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that support and maintenance is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Where SLA schedules attach, credits for downtime may apply as stated. SLA exclusions include Client infrastructure failures, third-party outages, and force majeure. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that service level agreements is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
For enterprise clients, source code escrow may be arranged with third-party escrow agent on mutually agreed terms and Client-funded fees. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that escrow arrangements is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Training on operation and administration of Deliverables may be included in SOW. Training materials remain our IP unless assigned. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that training services is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Client obtains licences for cameras, devices, cloud platforms, and third-party SDKs unless we procure as agent with reimbursement. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that hardware and third-party licences is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Client warrants compliance with UK export control and sanctions laws. We may refuse delivery to restricted persons or territories. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that export controls and sanctions is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Parties comply with Bribery Act 2010. Gifts and hospitality require policy compliance. Report concerns to {EMAIL}. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that anti-bribery and corruption is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
We comply with Modern Slavery Act 2015 transparency expectations and expect the same from Client supply chains. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that modern slavery is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Disposal of electronic components complies with WEEE regulations where we handle hardware on Client behalf. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that environmental and electronic waste is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Where Deliverables include user interfaces, WCAG-oriented accessibility may be scoped in SOW for public sector clients. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that accessibility is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
We maintain business continuity plans for critical operations. Client maintains continuity for production biometric systems under its control. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that business continuity is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Biometric processing logs may be implemented per SOW. Log retention aligns with Client legal obligations and minimisation principles. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that records and audit trail is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Machine learning models may require periodic revalidation. Model update procedures and responsibility are defined in SOW to address demographic drift and accuracy degradation. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that model updates and drift is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Pilot engagements have limited scope, shorter warranty, and may use sandbox environments. Transition to production requires separate SOW. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that pilot and proof of concept engagements is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
API rate limits and transaction volumes for identity verification platforms are specified commercially. Excess usage may incur overage fees. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that volume and fair use is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Reseller or white label rights require explicit licence schedules. Client remains responsible for downstream compliance with biometric law. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that white label and reseller arrangements is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Material regulatory changes affecting Biometric Data processing may require change orders for compliance updates beyond original scope. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that regulatory change is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
We provide Services as independent contractor. Nothing creates employment, partnership, or joint venture. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that independent contractor status is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Agreement may be executed in counterparts and by electronic signature with same effect as original. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that counterparts and electronic signature is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Agreement is in English. Translated versions are convenience only; English prevails on conflict. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that language is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Provisions intended to survive termination including payment, confidentiality, liability limits, indemnity, and data return survive as applicable. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that survival of obligations is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Technical specifications in SOW prevail over general marketing materials on conflict. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that order of precedence for technical specifications is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Client provides secure VPN, test devices, and staging environments. We are not liable for Client network misconfiguration. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that client equipment and access is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Client warrants supplied datasets are free of malware and lawfully obtained. We may scan uploads for security. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that malware and client-supplied data is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Feedback provided by Client may be used to improve our services without obligation or compensation unless agreed. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that feedback and suggestions is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Publication of benchmark results comparing our Deliverables requires our prior review for accuracy. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that benchmarking and comparative testing is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
For sensitive deployments, parties may convene ethical review discussions documenting proportionality and alternatives to facial recognition. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that ethical review board is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Production systems should implement non-biometric fallback where feasible for accessibility and resilience unless SOW specifies passwordless-only with Client acceptance of risk. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that fallback authentication is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Processing Biometric Data of children or vulnerable adults requires explicit SOW scope and heightened safeguards per ICO guidance. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that children and vulnerable adults is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Employee facial recognition deployments require Client compliance with employment law, DPIA, and consultation obligations. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that workforce biometric monitoring is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Client is responsible for lawful basis when deploying for law enforcement. We respond to valid legal process regarding data we control. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that law enforcement and government requests is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Client penetration testing of Deliverables requires coordination and written approval to avoid service disruption. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that penetration testing by client is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
We provide notices for open source components. Client complies with licence terms in distribution. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that open source compliance is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Use of AWS, Azure, Google Cloud or similar is subject to provider terms. Data residency requirements are specified in SOW. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that cloud service provider terms is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Annual disaster recovery tests may be scoped for enterprise clients with associated fees. This clause forms part of the commercial framework between ZELOFUN LIMITED and the Client for facial recognition app development and biometric services delivered from 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ. The Client acknowledges that disaster recovery testing is integral to lawful, secure, and effective deployment of identity verification platforms under UK GDPR and DPA 2018. Specific requirements may be expanded in the Statement of Work, data processing agreement, or technical schedules. Questions regarding this section should be directed to helpdesk@zelofun.diy or +44 7853 281824. Where biometric processing involves special category personal data, both parties must ensure documented lawful basis, transparency, and accountability before commencement of related activities.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.
Additional provision: ZELOFUN LIMITED operates in accordance with England and Wales jurisdiction requirements for data protection, contractual performance, and professional delivery of facial recognition technologies. Clients engaging our biometric authentication systems receive documentation supporting compliance programmes including records of processing, technical organisational measures summaries, and incident notification procedures consistent with UK GDPR Articles 33 and 34. Our Westminster office at 146 New Cavendish Street, Westminster, London, United Kingdom, W1W 6YQ serves as the primary point of coordination for contractual, privacy, and technical enquiries via helpdesk@zelofun.diy and +44 7853 281824. Website: https://zelofun.diy.