"Confidential Information" means the confidential, proprietary, and trade secret information of the disclosing party to be disclosed by the disclosing party under this Agreement, and comprises:
a) information in tangible form that: (1) bears a Confidentiality Legend (“confidential”, “proprietary,” “secret,” or similar legend); or (2) does not bear any Confidentiality Legend, if the receiving party knew, or reasonably should have known under the circumstances, that the information was confidential and had been communicated to it in confidence; and
b) discussions about that information that may occur before, at the same time, or after disclosure of the information.
“Data Controller" means the natural or legal person, organisation, public authority, agency, or any other body which alone or jointly with others determines the purposes and means of the processing of personal data.
“Data Incident” means any or all the following: (i) accidental or unlawful destruction of Personal Data; (ii) accidental loss, alteration, unauthorised disclosure collection, use, copying, modification, disposal, or access of Personal Data or similar risks, in particular where the Processing involves transmission of Personal Data over a network; and (iii) all other unlawful forms of Processing.
“Data Subject” means an identified or identifiable natural person who can be identified, directly or indirectly, in particular by reference to an identifier such as a name, an identification number, location data, an online identifier or to one or more factors specific to his physical, physiological, genetic, mental, economic, cultural or social identity, or any natural person to which Personal Data relates under applicable data protection laws.
“Personal Information” or “Personal Data” means the personally identifiable information or personal data or any other information regulated as personal data or personal information under the applicable data protection laws relating to a Data Subject and Processed by Mobileye or any Mobileye Sub-processors for the purpose of providing the Services.
“Process/Processing” means any operation or set of operations which is performed upon Personal Data, whether by automatic means, such as collection, recording, organiSation, structuring, storage, adaptation or alteration, retrieval, consultation, use, disclosure by transmission, dissemination or otherwise making available, alignment or combination, restriction, blocking, erasure or destruction.
“Standard Contractual Clauses” mean the 2021 standard contractual clauses for the transfer of Personal Data from a Data Controller in the European Economic Area to Data Controllers established in third countries under the EU General Data Protection Regulation 2016/679 (the "GDPR") as amended, replaced or superseded, or any alternative or successor Decision that approves new standard contractual clauses for transfers to Data Controllers in third countries, as amended by incorporating the description of the Personal Data to be transferred. The standard contractual clauses are available on the European Commission's website at the following link: Standard Contractual Clauses.
Data of Personal Data in connection with test drives is conducted by the following parties acting as two independent controllers, bound by mutual Data Sharing Agreement which formalises the nature of this collaboration:
Project 3 Mobility d.o.o.,
Ilica 31 10000 Zagreb, CROATIA (P3M)
Mobileye Vision Technologies Ltd.,
13 Hartom St., P.O.B 45157, Jerusalem, 9777513 Israel (Mobileye)
Personal Data may be collected in two scenarios serving two different purposes.
a) Using vehicles operated by P3M with Mobileye System integrated in the vehicles. After the data is collected during test drives, it will be transferred to Mobileye.
b) Using the same vehicles as mentioned above, operated by P3M personal data may be recorded using a pair of Dash Cameras attached to the vehicles. This data is not transferred to Mobileye.
Further processing purposes are outlined below.
Two scenarios serve two different purposes:
a) The Personal Data is utilised for the improvement, development, and validation of Mobileye Drive™ Self-Driving System provided by Mobileye to P3M with the objective of enhancing technology to detect vehicles and human beings in a generic form and providing such technology to P3M.
b) The Personal Data is independently and in parallel collected by P3M using Dash Cameras, primarily used for security, safety, and operational efficiency during the test drives.
The processing of Personal Data by P3M and Mobileye is based on Article 6(1)(f) of the General Data Protection Regulation, which permits the processing of Personal Data where necessary for the legitimate interests pursued by the Data Controller or a third party, except where such interests are overridden by the interests or fundamental rights and freedoms of the data subject requiring protection of personal data.
Data creation includes raw footage captured by vehicle’s external cameras, which may capture biometric and textual Personal Data. Examples of Personal Data are human faces, and license plate numbers.
Data Subjects may include individuals incidentally captured by the vehicle's external cameras, pedestrians, and other road users using public roads.
Individuals may also incidentally include employees of P3M, Mobileye and/or partner companies.
Data shall not contain special categories of data or sensitive Personal Data. If such Data is collected, it shall be processing of such Data shall be limited to the extent strictly necessary for specific purposes outlined in this Notice. If not necessary for the purposes outlined in this Notice, such Data shall be anonymised or deleted.
Data is stored securely at different locations depending on processing purposes:
Data is protected by applying adequate Technical and Organizational Measures, ensuring data confidentiality, integrity, and availability throughout the data lifecycle. These measures include encryption, access controls, regular security assessments, and staff training.
Transfer of personal data outside the EU will be conducted in compliance with GDPR requirements, including the use of appropriate safeguards such as Standard Contractual Clauses or ensuring the receiving country has an adequate level of data protection.
Please note that these rights are necessarily limited due to the fact that neither of the parties collates nor indexes Personal Data (there is no mechanism allowing, for example, a search through the clips database for a frame or frames containing any particular vehicle or individual). As a result, it is highly unlikely that a party would be able to identify a particular individual within its clips database unless that individual could provide additional information, such as the location and time at which he/she believes the relevant video clip or clips were collected. Nonetheless, corresponding party will review and respond to any requests on a case-by-case basis. In the unusual case where an individual registers an objection with the driver of a corresponding party-operated test vehicle in real or close-to-real time, drivers are instructed to make a record of such objections and to relay them for review. In such exceptional case, by contrast to the above, it would usually be possible to identify and delete the relevant video clip or clips.
As outlined in the General Data Protection Regulation (GDPR), Data Subjects have various rights concerning the processing of their Personal Data. These rights empower individuals to maintain control over their Personal Information and ensure that it is handled fairly and lawfully.
Below are the rights afforded to Data Subjects:
Data Subjects can exercise these rights by contacting the Data Controller using the contact information provided in this Data Protection Notice. The Data Controller will respond to requests within the timelines prescribed by the GDPR and will take appropriate measures to address the Data Subject's concerns.
Data Subjects also have the right to lodge a complaint with a supervisory authority if they believe that their rights under the GDPR have been infringed.
Clip-collecting test vehicles are marked with a special sticker informing about data collecting activities and providing information about data control.
If you have any questions about this Data Protection Notice or wish to exercise any of your data protection rights, please contact us.
P3M Data Protection Office can be contacted at:
Project 3 Mobility d.o.o.
Ilica 31, 10000 Zagreb, Croatia
email: dpo@p3m.com
Mobileye Data Protection Officer can be contacted at:
Mobileye Vision Technologies Ltd.
Hartom 13, Jerusalem 9777513, Israel
email privacy@mobileye.com
Mobileye's representative within the European Economic Area, its affiliate:
Mobileye Germany GmbH
European Data Protection Officer
Lütticher Str. 132
40547 Düsseldorf
privacy@mobileye.com
We may update this Data Protection Notice periodically to reflect changes in our data collection activities or legal requirements. We encourage you to review this Notice regularly for any updates. Thank you for trusting Project 3 Mobility and Mobileye as we collaborate to advance autonomous driving technology while protecting your privacy and data rights.
11th of March 2024
"Confidential Information" means the confidential, proprietary, and trade secret information of the disclosing party to be disclosed by the disclosing party under this Agreement, and comprises:
a) information in tangible form that: (1) bears a Confidentiality Legend (“confidential”, “proprietary,” “secret,” or similar legend); or (2) does not bear any Confidentiality Legend, if the receiving party knew, or reasonably should have known under the circumstances, that the information was confidential and had been communicated to it in confidence; and
b) discussions about that information that may occur before, at the same time, or after disclosure of the information.
“Data Controller" means the natural or legal person, organisation, public authority, agency, or any other body which alone or jointly with others determines the purposes and means of the processing of personal data.
“Data Incident” means any or all the following: (i) accidental or unlawful destruction of Personal Data; (ii) accidental loss, alteration, unauthorised disclosure collection, use, copying, modification, disposal, or access of Personal Data or similar risks, in particular where the Processing involves transmission of Personal Data over a network; and (iii) all other unlawful forms of Processing.
“Data Subject” means an identified or identifiable natural person who can be identified, directly or indirectly, in particular by reference to an identifier such as a name, an identification number, location data, an online identifier or to one or more factors specific to his physical, physiological, genetic, mental, economic, cultural or social identity, or any natural person to which Personal Data relates under applicable data protection laws.
“Personal Information” or “Personal Data” means the personally identifiable information or personal data or any other information regulated as personal data or personal information under the applicable data protection laws relating to a Data Subject and Processed by Mobileye or any Mobileye Sub-processors for the purpose of providing the Services.
“Process/Processing” means any operation or set of operations which is performed upon Personal Data, whether by automatic means, such as collection, recording, organiSation, structuring, storage, adaptation or alteration, retrieval, consultation, use, disclosure by transmission, dissemination or otherwise making available, alignment or combination, restriction, blocking, erasure or destruction.
“Standard Contractual Clauses” mean the 2021 standard contractual clauses for the transfer of Personal Data from a Data Controller in the European Economic Area to Data Controllers established in third countries under the EU General Data Protection Regulation 2016/679 (the "GDPR") as amended, replaced or superseded, or any alternative or successor Decision that approves new standard contractual clauses for transfers to Data Controllers in third countries, as amended by incorporating the description of the Personal Data to be transferred. The standard contractual clauses are available on the European Commission's website at the following link: Standard Contractual Clauses.
Data of Personal Data in connection with test drives is conducted by the following parties acting as two independent controllers, bound by mutual Data Sharing Agreement which formalises the nature of this collaboration:
Project 3 Mobility d.o.o.,
Ilica 31 10000 Zagreb, CROATIA (P3M)
Mobileye Vision Technologies Ltd.,
13 Hartom St., P.O.B 45157, Jerusalem, 9777513 Israel (Mobileye)
Personal Data may be collected in two scenarios serving two different purposes.
a) Using vehicles operated by P3M with Mobileye System integrated in the vehicles. After the data is collected during test drives, it will be transferred to Mobileye.
b) Using the same vehicles as mentioned above, operated by P3M personal data may be recorded using a pair of Dash Cameras attached to the vehicles. This data is not transferred to Mobileye.
Further processing purposes are outlined below.
Two scenarios serve two different purposes:
a) The Personal Data is utilised for the improvement, development, and validation of Mobileye Drive™ Self-Driving System provided by Mobileye to P3M with the objective of enhancing technology to detect vehicles and human beings in a generic form and providing such technology to P3M.
b) The Personal Data is independently and in parallel collected by P3M using Dash Cameras, primarily used for security, safety, and operational efficiency during the test drives.
The processing of Personal Data by P3M and Mobileye is based on Article 6(1)(f) of the General Data Protection Regulation, which permits the processing of Personal Data where necessary for the legitimate interests pursued by the Data Controller or a third party, except where such interests are overridden by the interests or fundamental rights and freedoms of the data subject requiring protection of personal data.
Data creation includes raw footage captured by vehicle’s external cameras, which may capture biometric and textual Personal Data. Examples of Personal Data are human faces, and license plate numbers.
Data Subjects may include individuals incidentally captured by the vehicle's external cameras, pedestrians, and other road users using public roads.
Individuals may also incidentally include employees of P3M, Mobileye and/or partner companies.
Data shall not contain special categories of data or sensitive Personal Data. If such Data is collected, it shall be processing of such Data shall be limited to the extent strictly necessary for specific purposes outlined in this Notice. If not necessary for the purposes outlined in this Notice, such Data shall be anonymised or deleted.
Data is stored securely at different locations depending on processing purposes:
Data is protected by applying adequate Technical and Organizational Measures, ensuring data confidentiality, integrity, and availability throughout the data lifecycle. These measures include encryption, access controls, regular security assessments, and staff training.
Transfer of personal data outside the EU will be conducted in compliance with GDPR requirements, including the use of appropriate safeguards such as Standard Contractual Clauses or ensuring the receiving country has an adequate level of data protection.
Please note that these rights are necessarily limited due to the fact that neither of the parties collates nor indexes Personal Data (there is no mechanism allowing, for example, a search through the clips database for a frame or frames containing any particular vehicle or individual). As a result, it is highly unlikely that a party would be able to identify a particular individual within its clips database unless that individual could provide additional information, such as the location and time at which he/she believes the relevant video clip or clips were collected. Nonetheless, corresponding party will review and respond to any requests on a case-by-case basis. In the unusual case where an individual registers an objection with the driver of a corresponding party-operated test vehicle in real or close-to-real time, drivers are instructed to make a record of such objections and to relay them for review. In such exceptional case, by contrast to the above, it would usually be possible to identify and delete the relevant video clip or clips.
As outlined in the General Data Protection Regulation (GDPR), Data Subjects have various rights concerning the processing of their Personal Data. These rights empower individuals to maintain control over their Personal Information and ensure that it is handled fairly and lawfully.
Below are the rights afforded to Data Subjects:
Data Subjects can exercise these rights by contacting the Data Controller using the contact information provided in this Data Protection Notice. The Data Controller will respond to requests within the timelines prescribed by the GDPR and will take appropriate measures to address the Data Subject's concerns.
Data Subjects also have the right to lodge a complaint with a supervisory authority if they believe that their rights under the GDPR have been infringed.
Clip-collecting test vehicles are marked with a special sticker informing about data collecting activities and providing information about data control.
If you have any questions about this Data Protection Notice or wish to exercise any of your data protection rights, please contact us.
P3M Data Protection Office can be contacted at:
Project 3 Mobility d.o.o.
Ilica 31, 10000 Zagreb, Croatia
email: dpo@p3m.com
Mobileye Data Protection Officer can be contacted at:
Mobileye Vision Technologies Ltd.
Hartom 13, Jerusalem 9777513, Israel
email privacy@mobileye.com
Mobileye's representative within the European Economic Area, its affiliate:
Mobileye Germany GmbH
European Data Protection Officer
Lütticher Str. 132
40547 Düsseldorf
privacy@mobileye.com
We may update this Data Protection Notice periodically to reflect changes in our data collection activities or legal requirements. We encourage you to review this Notice regularly for any updates. Thank you for trusting Project 3 Mobility and Mobileye as we collaborate to advance autonomous driving technology while protecting your privacy and data rights.
11th of March 2024
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