TOA Technologies, Inc. (formerly ETAdirect Holdings, Inc.)
2000 Auburn Drive, Suite 207
Beachwood, Ohio 44122
Contact Office: Privacy Officer
Contact Name: Irad Carmi, President & Chief Technology Officer
Phone: 216-378-1868 Fax: 216-839-1752 Email: email@example.com
Corporate Officer Information:
Corporate Officer: Yuval Brisker, President & Chief Executive Officer
Phone: 917-224-6647 Fax: 646-349-1929 Email: firstname.lastname@example.org
Safe Harbor Information:
Signed up to safe harbor 05/27/2005 01:36:12 PM
Next certification 05/27/2010
EU/EEA Countries From Which Personal Information Is Received: France, Germany, Ireland, Italy, Netherlands, Portugal, Romania, Spain, United Kingdom
Industry Sector: Telecommunications Services - (TES) General Services - (GSV) Household Consumer Goods - (HCG)
Personal Information Received From the EU: TOA Technologies has developed a software application that allows companies to manage their mobile workforce in coordinating service and delivery visits to end-user customers. TOA Technologies serves primarily as the data processor on behalf of its customer companies. TOA Technologies also serves as data controller during the limited time customer data resides on its servers.
Regulated by: Federal Trade Commission
Privacy Programs: Self-certification to the U.S. Department of Commerce.
Verification: In-house review and verification
Dispute Resolution: An individual may make a request to TOA for access to the personal information about him or her TOA maintains in its information products. The individual has the right to receive confirmation from TOA as to whether or not data relating to him/her is found in TOA's information products and to correct, amend, or delete that information when it is inaccurate. This right only applies to personal information relating to the individual making the request and is subject to other limitations as defined by law. Individuals will direct their request to TOA's Privacy Officer at corporate headquarters. TOA will require confirmation of the identity of the individual. TOA must be provided with the necessary information to retrieve the individual's information, via a signed request. TOA agrees to process all reasonable requests for access within a reasonable time period, but reserves the right to deny access or limit access in cases where the burden or cost of providing access would be disproportionate to the risks to the individual's privacy or in the case of a vexatious or fraudulent request.
To ensure compliance with these Safe Harbor policies, TOA will:
i. Commit to cooperate with the Data Protection Authorities (DPAs) of the EU countries in the investigation and resolution of complaints and will comply with any advice given by DPAs;
ii. Employ a procedure for verifying the commitment the company has made to adhere to the Safe Harbor Principles has been implemented;
iii. Remedy issues arising out of any failure to comply with the Principles. TOA acknowledges that its failure to provide an annual self-certification to the U.S. Department of Commerce will remove it from its list of participants and the transfers of information will not be allowed unless TOA complies with the EU Data Protection Directive.
iv. The TOA Privacy Officer and the TOA Board of Directors will be the internal mechanism for ensuring compliance with the Safe Harbor Principles and facilitating independent recourse, as described above.
Personal Data Covered: on-line
Human Resource Data Covered: No
Do you agree to cooperate and comply with the European Data Protection Authorities? Yes
Certification Status: Current
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