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PRIVACY AT ADP

Effective Date: May 8, 2018

Last Updated: March 21, 2024

As a Human Capital Management (HCM) provider, ADP processes a vast amount of
personal data. We process the personal data of our Clients’ employees on behalf
of our Clients, and of our business contacts. In order to provide the highest
level of data protection, ADP has adopted Binding Corporate Rules (BCR) for
processing Client employee data and business contact data. In addition, ADP has
implemented BCR for processing personal data of ADP Associates. These BCRs serve
as the basis for our Global Privacy Program. We have implemented a Global
Privacy Policy that is applicable to all ADP Associates worldwide, enabling us
to comply with the commitments we’ve made in our BCRs.

ADP’s Global Chief Privacy Officer is charged with leading and overseeing ADP’s
Global Privacy Programs, along with the members of the global privacy team. The
global privacy team may be contacted at privacy@adp.com.

We invite you to explore this webpage and learn more about Privacy at ADP,
including understanding the steps that we’ve taken to protect personal data
globally. Within this webpage, you may find our Privacy Statements, overview of
our BCRs, and of our Privacy Program, as well as brochures and other
privacy-related materials.

This webpage is complementary to our other Privacy at ADP webpage that you can
find at https://www.adp.com/about-adp/data-privacy.aspx.

 * ADP Privacy Statement for Business Contacts
   
   Effective Date: May 8, 2018
   
   Last Updated: June 2, 2023
   
   This Privacy Statement explains how ADP, Inc. and the ADP Group Companies
   listed under section 17 of this Statement, (hereinafter “we”), use and
   disclose Personal Data that we collect from Individuals who visit our
   websites and otherwise engage with us in business activities. This Privacy
   Statement also incorporates ADP’s Binding Corporate Rules (BCR) Privacy Code
   for Business Data, which includes detailed information about how ADP
   processes data of our Business Contacts and the commitments we have made to
   protect that data. For more information on the BCR, please click on ADP
   Privacy Code for Business Data Overview towards the bottom of this webpage.
   If you have additional questions about privacy please contact us at
   privacy@adp.com.
   
   For information on how ADP protects the Personal Data we process for Clients,
   please see the ADP Privacy Statement for Client Employees, found towards the
   bottom of this webpage.
   
   If you are a California resident, please see our California Consumer Privacy
   Statement, available here
   [https://www.adp.com/-/media/adp/privacy/pdf/ccpaps_en.pdf], for more
   information on how we handle your Personal Data and the privacy requests you
   may make.
   
   ADP has a Global Data Privacy Policy that applies to all ADP Group Companies
   worldwide. An overview of the Global Data Privacy Policy, as it applies to
   Client Employee’s data that we process on behalf of our Clients, is located
   on this webpage. Every ADP Group Company must respect privacy and protect the
   Personal Data that is entrusted to it. This Privacy Statement explains how
   ADP collects, uses and discloses Personal Data in particular, from Business
   Contacts, as well as from its website visitors. If you are interested in the
   practices of a particular ADP Group Company, please check the “Privacy” link
   on that company’s website or contact us at privacy@adp.com.
   
   1. Types of Personal Data
   
   This Privacy Statement explains our practices with regard to Personal Data
   collected by ADP for its own Business Purposes. Personal Data is any
   information that can be used to identify, locate or contact you. Some
   examples of Personal Data include your name, username, mailing address,
   telephone numbers, email address, geographic location, creditworthiness,
   customer account information, or other information about how you use ADP
   websites and applications. Personal Data also includes other information that
   may be associated with your Personal Data.
   
   2. How ADP collects Personal Data
   
   In most cases, we collect Personal Data directly from you. We will ask you
   for Personal Data when you interact with us, such as registering on our
   websites, signing up to receive a newsletter, making a purchase, signing up
   to receive marketing communications, or to provide ADP with services, goods
   or products. We may collect additional information from Third Party data
   suppliers who enhance our files and help us better understand our contacts.
   
   If you interact with us online, we use cookies and other technological tools
   to collect information about your computer and your use of our website and
   applications. We treat this information as Personal Data when it is
   associated with your contact information. For more information about cookies
   and other technologies, please see the section Cookies and Other Data
   Collection Technologies below.
   
   3. How ADP uses Personal Data
   
   ADP uses your Personal Data for the following Business Purposes:
   
   (a) Business Purposes for Processing Personal Data pertaining to
   Professionals. Personal Data pertaining to Professionals with whom ADP has a
   business relationship may be processed as needed:
   
       (1) To initiate, assess, develop, maintain, or expand a business
   relationship, including negotiating, contracting, and fulfilling obligations
   under contracts;
       (2) For due diligence regarding the Individual’s qualifications and
   eligibility for the relationship, including verifying the identity,
   qualification, authority, and creditworthiness of the Professional and
   obtaining publicly-available information from Third Parties (such as
   publicly-available sanction lists from screening companies);
       (3) To send transactional communications (such as requests for
   information, responses to requests for information, orders, confirmations,
   training, and service updates);
       (4) For account management, accounting, finance, and dispute resolution
   purposes (such as accounts receivable, accounts payable, account
   reconciliation, cash management, or money movement) and for consolidated
   management and reporting;
       (5) To assure quality control and to enforce company standards and
   policies;
       (6) For risk management and mitigation, including for audit and insurance
   functions, and as needed to license and protect intellectual property and
   other assets;
       (7) For security management, including monitoring Individuals with access
   to ADP’s websites, applications, systems, or facilities, investigation of
   threats, and as needed for any Data Security Breach notification; and
       (8) To anonymize or de-identify the Personal Data.
   
   (b) Business Purposes for Processing Personal Data pertaining to Consumers
   and other Individuals. Personal Data pertaining to Consumers and other
   Individuals with whom ADP has a business relationship may be processed as
   needed:
   
       (1) To provide the information, product, or service requested by the
   Individual, and as would be reasonably expected by the Individual given the
   context in which the Personal Data were collected, and the information
   provided in the applicable privacy statement given to the Individual (such as
   for personalization, remembering preferences, or respecting Individual
   rights);
       (2) For due diligence, including verifying the identity of the
   Individual, as well as the eligibility of the Individual to receive
   information, products, or services (such as verifying age, employment, or
   account status);
       (3) To send transactional communications (such as requests for
   information, responses to requests for information, orders, confirmations,
   training materials, and service updates);
       (4) To manage the Individual’s account, such as for customer service,
   finance, and dispute resolution purposes;
       (5) For risk management and mitigation, including for audit and insurance
   functions, and as needed to license and protect intellectual property and
   other assets,
       (6) For security management, including monitoring Individuals with access
   to ADP’s websites, applications, systems, or facilities, investigation of
   threats, and as needed for any Data Security Breach notification; and
       (7) To anonymize or de-identify the Personal Data.
   
   (c) Business-necessary Processing activities. ADP may process Personal Data
   as needed (i) to protect the privacy and security of the Personal Data it
   maintains, such as in connection with advanced security initiatives and
   threat detection; (ii) for treasury operations and money movement activities;
   (ii) for compliance functions, including screening Individuals against
   sanction lists in connection with anti-money laundering programs; (iv) for
   business structuring activities, including mergers, acquisitions, and
   divestitures; and (v) business activities, management reporting, and
   analysis.
   
   (d) Development and improvement of products and/or services. ADP may process
   Personal Data to develop and improve ADP’s products and/or services, and for
   research, development, analytics, and business intelligence.
   
   (e) Relationship management and marketing. ADP may process Personal Data for
   relationship management and marketing. This purpose includes sending
   marketing and promotional communications to Individuals who have not objected
   to receiving such messages as may be appropriate given the nature of the
   relationship (or who have opted into such messages in those jurisdictions
   where opt-in consent is required), such as product and service marketing,
   investor communications, Client communications (e.g., HR compliance alerts,
   product updates, and training opportunities and invitations to ADP events),
   customer satisfaction surveys, supplier communications (e.g., requests for
   proposals), corporate communications, and ADP news.
   
   ADP uses your Personal Data for Secondary Purposes such as:
   
    * Disaster recovery and business continuity, including transferring the
      information to an Archive
    * Internal audits or investigations
    * Implementation or verification of business controls
    * Statistical, historical, or scientific research
    * Dispute resolution
    * Legal or business counseling
    * Compliance with laws and company policies
    * Insurance purposes
   
   4. Why and How Personal Data is disclosed by ADP
   
   ADP commits to not provide your Personal Data to Third Parties for their own
   marketing purposes. We limit our sharing of your Personal Data to:
   
    * ADP Group Companies, which will only use your Personal Data for the
      purposes listed above.
    * Our service providers, who are bound by law or contract to protect your
      Personal Data and only use your Personal Data in accordance with our
      instructions.
    * Our business partners, but only to the extent you have purchased product
      or service from such partner, interacted with such partner, or otherwise
      authorized the sharing. For example, if you are referred to ADP from a
      business partner website, we may provide that partner with your contact
      information and certain economic and financial information, such as bank
      account information, to validate the referral. We may also provide your
      contact information to companies that offer complementary products and
      services if you request information about these solutions.
    * Enforce our rights, protect our property, or protect the rights, property
      or safety of others, or as needed to support external auditing, compliance
      and corporate governance functions. We will also disclose Personal Data
      when required to do so by law, such as in response to a subpoena,
      including to law enforcement agencies and courts in the United States and
      other countries where we operate.
   
   Please note that we may also use and disclose information about you that is
   not personally identifiable. For example, we may publish reports that contain
   aggregated, anonymized, and statistical data about our Clients. These reports
   do not contain information that would enable the recipient to contact, locate
   or identify you. These reports also do not contain identifiable company
   information.
   
   5. Cookies and Other Data Collection Technologies
   
   When you visit our website or use our mobile applications, we collect certain
   information by automated means, using technologies such as cookies, pixel
   tags, browser analysis tools, server logs, and web beacons. For example, when
   you visit our website, we place cookies on your computer. Cookies are small
   text files that websites send to your computer or other Internet-connected
   device to uniquely identify your browser or to store information or settings
   in your browser. Cookies allow us to recognize you when you return. They also
   help us provide a customized experience and enable us to detect certain kinds
   of fraud. In many cases, you can manage cookie preferences and opt-out of
   having cookies and other data collection technologies used by adjusting the
   settings on your browser. All browsers are different, so visit the “help”
   section of your browser to learn about cookie preferences and other privacy
   settings that may be available.
   
   ADP also uses flash cookies (also known as local stored objects) and similar
   technologies to personalize and enhance your online experience. The Adobe
   Flash Player is an application that allows rapid development of dynamic
   content, such as video clips and animation. We use flash cookies for security
   purposes and to help remember settings and preferences similar to browser
   cookies, but these are managed through a different interface than the one
   provided by your web browser. To manage flash cookies, please see Adobe’s
   website at https://adobe.ly/2Kn1NL2 or visit www.adobe.com. ADP does not use
   flash cookies or similar technologies for behavioral or interest-based
   advertising purposes.
   
   Pixel tags and web beacons are tiny graphic images placed on website pages or
   in our emails that allow us to determine whether you have performed a
   specific action. When you access these pages or open or click an email, the
   pixel tags and web beacons generate a notice of that action. These tools
   allow us to measure response to our communications and improve our web pages
   and promotions.
   
   We collect many different types of information from cookies and other
   technologies. For example, we collect information from the device you use to
   access our website, your operating system type, browser type, domain, and
   other system settings, as well as the language your system uses and the
   country and time zone where your device is located. Our server logs also
   record the Internet Protocol (IP) address assigned to the device you use to
   connect to the Internet. An IP address is a unique number that devices use to
   identify and communicate with each other on the Internet. We may also collect
   information about the website you were visiting before you came to ADP and
   the website you visit after you leave our site.
   
   In many cases, the information we collect using cookies and other tools is
   only used in a non-identifiable way, without reference to Personal Data. For
   example, we use information we collect about website users to optimize our
   websites and to understand website traffic patterns. In some cases, we do
   associate the information we collect using cookies and other technology with
   your Personal Data. This Privacy Statement applies to the information when we
   associate it with your Personal Data.
   
   Our website may include embedded YouTube videos. When you click on an
   embedded YouTube video that video is loaded from a domain operated by
   YouTube. Although we have enabled the Privacy-Enhanced mode for embedded
   YouTube videos, which prevents YouTube from placing tracking cookies on your
   device when viewing these videos on our site, YouTube may collect your IP
   address and other devices information for their own purposes. To learn more
   about YouTube’s Privacy-Enhanced mode visit the YouTube support page at
   https://support.google.com/youtube/answer/171780. To learn more about
   YouTube’s processing of IP addresses visit YouTube’s privacy policy at
   https://policies.google.com/privacy.
   
   ADP has relationships with Third Party advertising companies to place
   advertisements on this website and other websites, and to perform tracking
   and reporting functions for this website and other websites. These Third
   Party advertising companies may place cookies on your computer when you visit
   our website or other websites so they can display targeted advertisements to
   you. These Third Party advertising companies do not collect Personal Data in
   this process, and we do not give Personal Data to them as part of this
   process. This Privacy Statement does not cover the collection methods or use
   of the information collected by these vendors. For more information about
   Third Party advertising, please visit the Network Advertising Initiative
   (NAI) at www.networkadvertising.org. You may opt out of being targeted by
   many Third Party advertising companies by visiting http://bit.ly/2Ig9IgT.
   
   Although our websites currently do not have a mechanism to recognize the
   various web browser Do Not Track signals, we do offer Individuals choices to
   manage their preferences that are provided in the previous sections above. We
   do expect our Third Party advertising companies to use reasonable efforts to
   respect browser Do Not Track signals by not delivering targeted
   advertisements to website visitors whose browsers have a Do Not Track setting
   enabled. However, we understand that some companies do not have this
   capability today. To learn more about browser tracking signals and Do Not
   Track please visit http://www.allaboutdnt.org/.
   
   ADP uses Google Analytics as a Third Party vendor. For information on how
   Google Analytics uses data, please visit “How Google uses data when you use
   our partners sites or apps”, located at http://bit.ly/2jXZ13Y.
   
   6. Mobile Applications
   
   ADP offers mobile applications that allow you to access your account,
   interact with us online, and receive other information via your mobile
   device. Personal Data collected by ADP via our mobile applications is
   protected by the terms of this Privacy Statement or our Privacy Statement for
   Client Employees, as applicable.
   
   7. Communication Preferences
   
   You may limit the information you provide to ADP. You may also limit the
   communications that ADP sends to you. To opt-out of commercial emails, simply
   click the link labeled “unsubscribe” at the bottom of any email we send you.
   Additionally, you may opt-in or opt-out of communications by navigating to
   the Global Preference Center at http://subscribe.adpinfo.com/.
   
   Please note that if you are currently receiving services from ADP and you
   have decided to opt-out of promotional emails, this will not impact the
   messages we send to you for purposes of delivering such services.
   
   If you have questions about your choices or if you need assistance with
   opting-out, please contact us via email to privacy@adp.com. You may also
   write us at the address in the How to Contact Us section below. If you send
   us a letter, please provide your name, address, email address, and
   information about the communications that you do not want to receive.
   
   8. Access, Correction, Erasure, and Other Individual Rights
   
   ADP respects your right to access, correct, and delete your Personal Data, or
   object to the processing of your Personal Data. If you have an online
   account, you may log into your account to access update, or delete the
   information you have provided to us. Additionally, you may contact
   privacy@adp.com. to request access to your data, and to exercise any of the
   individual rights afforded to you by ADP’s Privacy Code for Business Data, or
   by applicable data protection laws and regulations. You may also write to us
   at the address in the How to Contact Us section below. If you send us a
   letter, please provide your name, address, email address, and detailed
   information about the changes you would like to make. ADP will respond to
   requests as soon as possible and in accordance with applicable data
   protection laws and regulations.
   
   9. Information Security
   
   ADP is committed to maintaining the appropriate organizational, technical,
   and physical controls to protect Personal Data entrusted to ADP. These
   controls protect Personal Data from anticipated threats and hazards as well
   as unauthorized access and use. In each case, ADP will strive to provide
   security that is proportional to the sensitivity of the Personal Data being
   protected, with the greatest effort being focused on protecting Sensitive
   Personal Data and other Personal Data whose compromise could result in
   substantial harm or inconvenience to the Individual. Additional information
   about ADP’s Global Security Organization may be found at
   https://www.adp.com/about-adp/data-security.aspx.
   
   Please note that you should also take steps to protect yourself, especially
   online. When you register at ADP websites, choose a strong password, and do
   not use the same password that you use on other sites. Do not share your
   password with anyone else. ADP will never ask you for your password in an
   unsolicited phone call or in an unsolicited email. Also remember to sign out
   of the website and close your browser window when you have finished your
   work. This is to ensure that others cannot access your Personal Data and
   correspondence if others have access to your computer.
   
   10. Data Retention
   
   ADP will only retain your information for as long as necessary for the
   Purposes for which the Personal Data is processed. ADP has implemented a
   Global Records Information Management (RIM) Policy and has established
   records retention schedules for all types of Personal Data that ADP
   processes. Personal Data is retained in accordance with the records retention
   schedules to ensure that records containing Personal Data are retained as
   needed to fulfill the applicable Business Purposes, to comply with applicable
   laws, or as advisable in light of applicable statutes of limitations. When
   the retention period has expired, records containing Personal Data will be
   securely deleted or destroyed, de-identified, or transferred to archive, in
   accordance with ADP’s RIM Policy.
   
   11. International Data Transfers
   
   ADP is headquartered in the United States of America. Your Personal Data may
   be accessed by or transferred to our Group Companies and Suppliers in the
   United States or elsewhere in the world in accordance with the ADP Privacy
   Code for Business Data, found towards the bottom of this webpage.
   
   12. Privacy Statements of Third Parties
   
   This Privacy Statement only addresses the use and disclosure of information
   by ADP. Our Suppliers, Business Partners, and other Third Party websites that
   may be accessible through our https://www.ADP.com website have their own
   privacy statements and data collection, use and disclosure practices. We
   encourage you to familiarize yourself with the privacy statements provided by
   Third Parties prior to providing them with information or taking advantage of
   an offer or promotion.
   
   13. Forums, Product Reviews and Other Public Areas
   
   Our websites may provide forums and other public areas where you may
   communicate with others and publicly post information. Prior to posting in
   these areas, please read our Terms of Use carefully. The information you post
   will be accessible to anyone with Internet access, and Personal Data you
   include in your posting may be read, collected, and used by others. For
   example, if you post your email address on a forum or in a public area, you
   may receive unsolicited messages from Third Parties. Please use caution when
   posting Personal Data.
   
   14. Job Applicants
   
   If you have applied for employment with ADP, the Personal Data submitted with
   your job application will be added to our recruitment system and used for
   recruitment and other customary human resources purposes in accordance with
   our ADP Applicant Privacy Statement.
   
   15. Individuals Located in the European Economic Area
   
   In addition to the rights already listed in this Privacy Statement under
   Section 8, you also have the right to data portability, as well as the right
   to be notified of automated decision making or profiling related to your
   Personal Data. A Data Protection Officer for the European Economic Area has
   been appointed and can be reached at DataProtectionOfficer.ADPEMEA@adp.com
   You may reach the Data Protection Officer via mail at the address below.
   
   Data Protection Officer - EMEA
   ADP Europe SAS
   31 Avenue Jules Quentin
   92000 Nanterre
   France
   
   16. Changes to this Privacy Statement
   
   From time to time, we may update this Privacy Statement to reflect new or
   different privacy practices. We will place a notice online when we make
   material changes to this Privacy Statement.
   
   17. Group Companies bound by this Privacy Statement
   
   For a listing of Group Companies bound by this Privacy Statement and the
   Privacy Code for Business Data, please click
   www.adp.com/-/media/adp/privacy/pdf/A2CoBDC.pdf.
   
   18. How to Contact Us
   
   Please contact us if you have questions, or comments, at privacy@adp.com. You
   may reach us via mail at address below. If you send us a letter, please
   provide your name, address, email address, and detailed information about
   your question, comment, or complaints.
   
   ADP
   ADP Global Data Privacy and Governance Team
   MS 325
   One ADP Boulevard
   Roseland, NJ 07068-1728 USA
   
   19. How to Lodge a Complaint
   
   If you believe that ADP has not handled your Personal Data properly or that
   it has breached its privacy obligations, under any applicable data protection
   laws or the ADP Privacy Code for Business Data or of Applicable Law, you may
   file your complaint in writing to the address above, or via email, to the
   Global Data Privacy and Governance Team at privacy@adp.com.

 * ADP Privacy Code for Business Data - Overview
   
   On December 9, 2020, Automatic Data Processing Inc., based on a decision by
   its General Counsel, decided to include the United Kingdom, upon its exit
   from the European Union (hereinafter: Brexit) within its definition of
   EUROPEAN ECONOMIC AREA (EEA).
   
   The definition of EEA as it is included in the list of definitions of ADP’s
   Binding Corporate Rules, should read as follows from the date of Brexit:
   
   EEA or EUROPEAN ECONOMIC AREA means all Member States of the European Union,
   plus Norway, Iceland, and Liechtenstein and for purposes of the Codes,
   Switzerland and the United Kingdom (UK) after its exit from the European
   Union. By decision of the General Counsel – to be published on www.adp.com it
   may include other countries with data protection laws having data transfer
   restrictions similar to EEA Data Transfer Restrictions.
   
   Introduction
   
   ADP has adopted Binding Corporate Rules (BCR) as a Data Controller. BCR are a
   legally binding set of internal rules, recognized by the European Union (EU)
   Data Protection Authorities (DPAs), to ensure a consistent approach to
   privacy and data protection across Group Companies with the same parent,
   including those located outside of the EU.
   
   Scope and Applicability
   
   The ADP Privacy Code for Business Data indicates the commitments ADP has
   implemented for Processing Personal Data pertaining to those Individuals with
   whom ADP has a business relationship (e.g., Individuals who represent ADP’s
   Clients, Suppliers and Business Partners, other Professionals, and Consumers)
   and other Individuals whose Personal Data are processed by ADP in the context
   of its business activities as a Data Controller.
   
   Implementation
   
   The effective date of the ADP Privacy Code for Business Data is April 11,
   2018. ADP will implement the ADP Privacy Code for Business Data across the
   relevant ADP Group Companies within 18 months of the effective date.
   
   Glossary for BCR
   
   To access the glossary of terms used throughout ADP BCR related materials,
   please click www.adp.com/-/media/adp/privacy/pdf/glossary_en.pdf.
   
   ADP Privacy Code for Business Data Principles
   
   The ADP Privacy Code for Business Data is based on a set of data protection
   principles outlined below.
   
   Business Purposes for Processing Personal Data
   
   Personal Data may be processed by ADP in the context of its business
   operations for one or more of the following Business Purposes:
   
   A. Business Purposes for Processing Personal Data pertaining to
   Professionals:
   
       1. Business relationship management;
       2. Business relationship due diligence;
       3. Transactional communications;
       4. Account management;
       5. Quality control;
       6. Risk management;
       7. Security management; and
       8. Anonymize or de-identify Personal Data.
   
   B. Business Purposes for Processing Personal Data pertaining to Consumers and
   other Individuals:
   
       1. Provide requested information, products or services;
       2. Due diligence;
       3. Transactional communications;
       4. Account management;
       5. Risk management;
       6. Security management; and
       7. Anonymize or de-identify Personal Data.
   
   C. Business-necessary Processing activities:
   
       1. Protect privacy and security;
       2. Treasury operations and money movement activities;
       3. Compliance;
       4. Business structuring activities; and
       5. Reporting and analysis.
   
   D. Development and improvement of products and/or services; and
   
   E. Relationship management and marketing.
   
   Use for Other Purposes
   
   Personal Data may be processed for a secondary purpose, similar to the
   legitimate Business Purpose, provided appropriate additional measures are
   taken. It is generally permissible to Process Personal Data for the following
   purposes (even if not listed as a Business Purpose), provided appropriate
   additional measures are taken:
   
       1. Disaster recovery and business continuity, including transferring the
   Information to an Archive;
       2. Internal audits or investigations;
       3. Implementation or verification of business controls;
       4. Statistical, historical, or scientific research;
       5. Dispute resolution;
       6. Legal or business counseling;
       7. Compliance with laws and company policies; or
       8. Insurance purposes.
   
   Purposes for Processing Special Categories of Data
   
   The following Special Categories of Data may be processed by ADP for the
   purposes specified below:
   
       1. Special Categories of Data revealed by Photographic Images.
   Photographic images and video recordings may be processed for security,
   compliance and other legitimate Business Purposes, such as participating in
   video conferences.
   
       2. Racial or ethnic data. ADP may Process racial and ethnic data as
   needed to facilitate Supplier and other diversity programs.
   
       3. Criminal data (including data relating to criminal behavior, criminal
   records, or proceedings regarding criminal or unlawful behavior). ADP may
   Process criminal data as needed to conduct appropriate due diligence on
   Individuals and in connection with security and compliance activities as
   needed to protect the interests of ADP.
   
       4. Physical or mental health data. ADP may Process physical or mental
   health data as needed to accommodate a person’s disability or dietary needs,
   address emergency health needs, or in similar circumstances.
   
       5. Biometric data (such as fingerprints). ADP may Process biometric data
   for the protection of ADP and Staff assets, system and site access, security
   and fraud prevention reasons.
   
       6. Religion or beliefs. ADP may Process data pertaining to religion or
   beliefs as needed to meet an Individual’s specific needs, such as
   accommodating dietary requests (for kosher or halal meals) or respecting
   religious holidays.
   
   Special categories of data may be processed for any other legitimate purpose,
   if ADP obtains the prior explicit consent of the Individual.
   
   Quantity and Quality of Data
   
   ADP shall establish and implement retention schedules so that records
   containing Personal Data are only retained as needed to fulfill the
   applicable Business Purposes, to comply with applicable legal requirements,
   or as advisable in light of applicable statutes of limitations.
   
   Personal Data should be accurate, complete, and kept up-to-date to the extent
   reasonably necessary for the applicable Business Purposes. It is the
   responsibility of Individuals to ensure that their Personal Data are
   accurate, complete, and up-to-date.
   
   Individual Rights of Access, Rectification and Objection
   
   Individuals have the right to request a copy of the Personal Data maintained
   by or on behalf of ADP. If the personal data are incorrect, incomplete, or
   not processed in compliance with applicable law or the ADP Privacy Code for
   Business Data, the Individual has the right to have the personal data
   rectified, restricted or erased (as appropriate).
   
   Additionally, Individuals have the right to object to a) the Processing of
   their Personal Data on the basis of compelling grounds related to their
   particular situation, or b) receiving direct marketing communications
   (opting-out).
   
   Information around the process for submitting an Individual Rights Request
   can be found in Article 7 of the ADP Privacy Code for Business Data.
   
   Security and Confidentiality Requirements
   
   ADP has implemented commercially reasonable and appropriate technical,
   physical, and organizational measures to protect Personal Data from misuse or
   accidental, unlawful, or unauthorized destruction, loss, alteration,
   disclosure, acquisition, or access.
   
   Access to Personal Data will be authorized only to the extent necessary to
   serve the applicable Business Purposes and ADP Staff with access to Personal
   Data will be subject to confidentiality obligations.
   
   ADP shall investigate all known or suspected Data Security Breaches and shall
   document the facts relating thereto, its effects and the remedial actions
   taken. ADP shall notify Individuals of a Data Security Breach within a
   reasonable period of time following determination of such Data Security
   Breach if (a) the Individual is at a high risk of harm as a result of the
   Data Security Breach or, (b) (even if the Individual is not at a high risk of
   harm), if an applicable breach notification law requires Individual
   notification.
   
   Direct Marketing
   
   ADP respects the choices of Individuals and provides Individuals the choice
   to opt-in and opt-out of direct marketing. ADP will send direct marketing
   materials if the Individual has provided opt-in consent or if Applicable Law
   permits ADP to send marketing communications without explicit consent based
   on an existing business relationship.
   
   Transfer of Personal Data to Third Parties and Internal Processors
   
   ADP may transfer Personal Data to a Third Party and to Internal Processors to
   the extent necessary to serve the applicable Business Purposes. ADP will only
   transfer Personal Data to a Third Party or to an Internal Processor if a
   written contract has been entered into with the ADP Group Company ensuring
   that the same level of data protection will be applied as described in the
   ADP Privacy Code for Business Data.
   
   Governance
   
   ADP’s privacy program is managed by ADP’s Global Chief Privacy Officer and
   the members of the Data Privacy and Governance Team. ADP has implemented a
   Privacy Network comprised of the members of the Data Privacy and Governance
   Team and other members of the Legal department, including compliance
   professionals, and Data Protection Officers, who are in charge of privacy
   compliance within their respective regions, countries, Business Units or
   Functional areas.
   
   Additionally, Privacy Stewards are Executives who have been appointed by ADP
   senior leaders to implement and enforce compliance with ADP’s privacy program
   within their respective Business Units or Functional areas. Privacy Stewards
   and selected members of the Privacy Network serve on ADP’s Privacy Leadership
   Council, led by ADP’s Global Chief Privacy Officer, to oversee privacy
   compliance at ADP.
   
   Monitoring and Audit
   
   ADP shall audit business processes and procedures that involve the Processing
   of Personal Data for compliance with the ADP Privacy Code for Business Data
   on a regular basis. Additionally, ADP will allow its Processing facilities to
   be audited by the Lead DPA and DPAs of an EEA Country, as defined in the ADP
   Privacy Code for Business Data.
   
   The Global Chief Privacy Officer shall produce an annual report for the ADP
   Executive Committee on compliance with the ADP Privacy Code for Business
   Data, privacy, data protection risks, and other relevant issues.
   
   Complaints Procedure
   
   Individuals covered by the ADP Privacy Code for Business Data may file a
   written complaint if they suspect that a member(s) of the ADP Group Companies
   has violated the commitments made in the ADP Privacy Code for Business Data,
   as further defined in the ADP Privacy Code for Business Data.
   
   Complaints must be submitted in writing to the ADP Global Data Privacy and
   Governance Team. Complaints may be submitted via email to privacy@adp.com. or
   via mail to:
   
   ADP Delegated Entity
   ADP Nederland B.V.
   Lylantse Baan 1, 2908
   LG CAPELLE AAN DEN IJSSEL
   THE NETHERLANDS
   
   Individuals may also file a complaint or claim with the relevant DPAs or the
   Courts.
   
   ADP Privacy Code for Business Data
   
   For the full text of the ADP Privacy Code for Business Data, please click
   www.adp.com/-/media/adp/privacy/pdf/bcrbc_en.pdf. For a list of Group
   Companies bound by the ADP Privacy Code for Business Data, please click
   www.adp.com/-/media/adp/privacy/pdf/A2CoBDC.pdf.
   
   Contact Us
   
   For more information about ADP’s Privacy Program, including the ADP Privacy
   Code for Business Data, please contact the Global Data Privacy and Governance
   team at privacy@adp.com.

 * ADP Privacy Statement for Client Employees
   
   Effective Date: May 8, 2018
   
   Last Update: May 25, 2023
   
   ADP has an internal Global Data Privacy Policy that applies to all affiliates
   and associates worldwide. The Global Data Privacy Policy helps us ensure that
   personal data is handled properly. The Global Data Privacy Policy governs
   personal data collected by ADP for its own purposes as well as information
   provided to us as a processor for our Clients. It protects information
   collected online as well as offline. ADP is committed to protecting the
   privacy and security of personal data that we process in order to provide
   services to our Clients. We receive personal data from our Clients about
   their current, prospective and former employees as well as employee
   dependents and family members, as needed to provide benefits. This Privacy
   Statement explains our practices with regard to the personal data we receive
   from our Clients as a processor.
   
   ADP will collect and process your personal data only as instructed or
   permitted by our Client (your employer or prospective employer) or you. ADP
   maintains appropriate security controls to protect your information.
   
   For our Client employees located in the European Economic Area and in
   Switzerland, ADP has established Binding Corporate Rules (BCR) Privacy Code
   for Client Data Processing Services which have been approved by the European
   Union Data Protection Authorities.
   
   ADP will disclose your personal data to your employer and to other entities
   when instructed by your employer. We may disclose your personal data to our
   affiliates and third party processors as needed to provide the services that
   you and your employer have requested. These entities are contractually bound
   to limit the use of your personal data as needed to perform the services. We
   will also disclose personal data when required to do so by law, such as in
   response to a subpoena, including to law enforcement agencies and courts in
   the United States and other countries where we operate.
   
   For Registered ADP Mobile Users: If your ADP Mobile account is inactive for
   more than 480 days, your login credentials will be suspended. The account
   will be deleted 180 days after account suspension. If you would like to
   expedite your account deletion, contact your Human Resources administrator.
   
   If you have questions about your privacy rights, please contact your
   employer’s human resources department.
   
   International Data Transfers
   
   Where authorized by your employer, ADP will transfer personal data pertaining
   to individuals located outside of the United States to our affiliates and
   suppliers in the United States and elsewhere in the world, pursuant to
   applicable data protection laws. We will only transfer personal data
   pertaining to individuals located in the European Economic Area as permitted
   by the ADP Privacy Code for Client Data Processing Services. For an overview
   of the ADP Privacy Code for Client Data Processing Services, which includes
   the list of our affiliates bound by the ADP Privacy Code for Client Data
   Processing Services, please click
   www.adp.com/-/media/adp/privacy/pdf/bcrpc_en.pdf.
   
   Sensitive Personal Data
   
   In the ordinary course of its business, ADP processes sensitive personal data
   on behalf of your employer, such as social security numbers. ADP has
   implemented reasonable technical, physical and administrative safeguards to
   help protect the sensitive personal data from unlawful use and unauthorized
   disclosure. All ADP associates and contingent workers are required to follow
   these established procedures, both online and offline. Access to sensitive
   personal data is limited to those associates and contingent workers who have
   a need to access the information to perform tasks for ADP. ADP will only
   disclose sensitive personal data to those service providers, auditors, and/or
   advisors who are legally or contractually obligated to protect them or as
   required or permitted by law.
   
   Anti-Money Laundering
   
   If your employer has elected to receive services such as money movement
   services from ADP, ADP may be required by applicable laws to process Client
   employee data for monitoring and other controls needed to safeguard the
   security and integrity of financial transactions including for due diligence,
   such as verifying the identifying of the individual, and the individual’s
   eligibility to receive products or services, such as verifying employment or
   account status.
   
   How to Lodge a Complaint (European Economic Area (EEA) and Switzerland Client
   Employees only)
   
   Client employees located in the EEA and Switzerland, as a third party
   beneficiary, may file a complaint in respect of a claim they have for
   violation of the ADP Privacy Code for Client Data Processing Services or
   applicable law, by contacting the Global Data Privacy and Governance Team at
   privacy@adp.com.
   
   ADP
   Global Data Privacy and Governance Team
   MS 325
   One ADP Boulevard
   Roseland, NJ 07068-1728 USA
   
   If ADP’s response to your complaint is unsatisfactory, you may file a
   complaint or claim with the relevant regulatory authorities or the courts, in
   accordance with the provisions of the ADP Privacy Code for Client Data
   Processing Services.
   
   Questions about Your Personal Data
   
   ADP is committed to transparency. We want individuals to understand how we
   collect and use personal data so they may interact with ADP with confidence.
   The materials provided on this webpage may help you find the information you
   need about privacy at ADP. If you have questions related to the content of
   this webpage, please contact us at privacy@adp.com. As an employee or
   prospective employee of an ADP Client, please reach out directly to them for
   more information regarding the collection and processing of your personal
   data or to exercise your data privacy rights (e.g. the right to deletion or
   erasure).

 * U.S. Biometric Information Privacy Policy
   
          U.S. Biometric Information Privacy Policy (English)
   
          U.S. Biometric Information Privacy Policy (Spanish)

 * ADP Privacy Code for Client Data Processing Services (European Data Only) –
   Overview
   
   On December 9, 2020, Automatic Data Processing Inc., based on a decision by
   its General Counsel, decided to include the United Kingdom, upon its exit
   from the European Union (hereinafter: Brexit) within its definition of
   EUROPEAN ECONOMIC AREA (EEA).
   
   The definition of EEA as it is included in the list of definitions of ADP’s
   Binding Corporate Rules, should read as follows from the date of Brexit:
   
   EEA or EUROPEAN ECONOMIC AREA means all Member States of the European Union,
   plus Norway, Iceland, and Liechtenstein and for purposes of the Codes,
   Switzerland and the United Kingdom (UK) after its exit from the European
   Union. By decision of the General Counsel – to be published on www.adp.com it
   may include other countries with data protection laws having data transfer
   restrictions similar to EEA Data Transfer Restrictions.
   
   Introduction
   
   ADP has adopted Binding Corporate Rules (BCR) as a Data Processor. BCR are a
   legally binding set of internal rules, recognized by the European Union (EU)
   Data Protection Authorities (DPAs), to ensure a consistent approach to
   privacy and data protection across Group Companies with the same parent,
   including those located outside of the EU.
   
   The ADP Privacy Code for Client Data Processing Services indicates the
   commitments ADP has implemented for the processing of personal data
   pertaining to client employees by ADP, in connection with providing client
   services and client support activities.
   
   Scope and Applicability
   
   The ADP Privacy Code for Client Data Processing Services addresses the
   processing of personal data of client employees by ADP in its role as a data
   processor for clients in the course of delivering client services, where such
   personal data are:
   
       a. Subject to EEA Applicable Law (or were subject to EEA Applicable Law
   prior to the transfer of such personal data to a Group Company outside the
   EEA in a country which has not been deemed to provide an adequate level of
   data protection by competent EEA institutions);
   
       b. Collected originally in the context of the activities of an EEA
   establishment of a Client;
   
       c. Subject to EEA Data Transfer Restrictions;
   
       d. Processed by ADP outside the EEA in a country which has not been
   deemed to provide an adequate level of data protection by competent EEA
   institutions; and
   
       e. Processed pursuant to a Service Agreement that specifically provides
   that the ADP Privacy Code for Client Data Processing Services shall apply to
   such personal data.
   
   Implementation
   
   The effective date of the ADP Privacy Code for Client Data Processing
   Services is April 11, 2018. ADP will implement the ADP Privacy Code for
   Client Data Processing Services across the relevant ADP Group Companies
   within 18 months of the effective date.
   
   Glossary for BCR
   
   To access the glossary of terms used throughout ADP BCR related materials,
   please click www.adp.com/-/media/adp/privacy/pdf/glossary_en.pdf.
   
   ADP Privacy Code for Client Data Processing Services Principles
   
   The ADP Privacy Code for Client Data Processing Services is based on a set of
   data protection principles outlined below.
   
   Data Processing Purposes
   
   ADP shall Process Client Data on behalf of the Client, only in accordance
   with the Service Agreement, pursuant to any documented instructions received
   from the Client, or as needed to comply with Applicable Law.
   
   ADP processes personal data (including Special Categories of Data) pertaining
   to client employees as needed to provide client services, client support
   activities, as required by EEA applicable law and for the following
   additional purposes:
   
       a. Hosting, storage, and other processing needed for business continuity
   and disaster recovery;
   
       b. System and network administration and security, including
   infrastructure monitoring, identity and credential management, verification
   and authentication, and access control;
   
       c. Monitoring and other controls needed to safeguard the security and
   integrity of transactions;
   
       d. Enforcing contracts and protecting ADP, its associates, clients,
   client employees, and the public against theft, legal liability, fraud, or
   abuse; and
   
       e. Approved ADP internal business processes.
   
   Upon termination of the Service Agreement, ADP shall fulfill its obligations
   to the client with regard to the returning the data and securely destroying
   the data, subject to EEA applicable law.
   
   Security Requirements
   
   ADP has implemented commercially reasonable and appropriate technical,
   physical, and organizational measures to protect Client Data from misuse or
   accidental, unlawful, or unauthorized destruction, loss, alteration,
   disclosure, acquisition, or access during the Processing, which will meet the
   requirements of EEA Applicable Law, or any stricter requirements, as imposed
   under the Service Agreement.
   
   Access to Client Data will be authorized only to the extent necessary to
   serve the applicable Data Processing Purposes and requirements of the Service
   Agreements. ADP staff with access to client data will be subject to
   confidentiality obligations.
   
   ADP shall notify the client of a data security breach without undue delay
   after becoming aware that such a breach has occurred, unless a law
   enforcement official or supervisory authority determines that notification
   would impede a criminal investigation, or cause damage to national security
   or a breach of trust in the relevant industry sector.
   
   Transparency to Client Employees
   
   ADP shall promptly notify the Client of requests or complaints related to the
   Processing of personal data by ADP that are received directly from client
   employees without responding to such requests or complaints, unless otherwise
   provided in the Service Agreement or instructed by the client.
   
   Subprocessors
   
   Third Party Subprocessors may only Process Client Data pursuant to a
   Subprocessor Contract. The Subprocessor Contract shall impose similar data
   protection-related Processing terms on the Third Party Subprocessor that will
   be not less protective than those imposed on the ADP Contracting Entity by
   the Service Agreement and the ADP Privacy Code for Client Data Processing
   Services.
   
   ADP shall publish an overview of the categories of Subprocessors involved in
   the performance of the relevant Client Services and ADP shall provide notice
   to the Client of any new Subprocessors engaged by ADP for the delivery of the
   Client Services. Clients have 30 days from notification date to object to the
   use of new Subprocessors engaged by ADP.
   
   Governance
   
   ADP’s privacy program is managed by ADP’s Global Chief Privacy Officer and
   the members of the Data Privacy and Governance Team. ADP has implemented a
   Privacy Network comprised of the members of the Data Privacy and Governance
   Team and other members of the Legal department, including compliance
   professionals, and Data Protection Officers, who are in charge of privacy
   compliance within their respective regions, countries, Business Units or
   Functional areas.
   
   Additionally, Privacy Stewards are Executives who have been appointed by ADP
   senior leaders to implement and enforce compliance with ADP’s privacy program
   within their respective Business Units or Functional areas. Privacy Stewards
   and selected members of the Privacy Network serve on ADP’s Privacy Leadership
   Council, led by ADP’s Global Chief Privacy Officer, to oversee privacy
   compliance at ADP.
   
   Compliance
   
   ADP shall respond promptly and appropriately to requests for assistance from
   the Client to enable the Client to comply with its obligations, subject to
   Applicable Law and in accordance with the Service Agreement.
   
   Monitoring and Audit
   
   ADP will address Client audit requests and will answer questions asked by the
   Client regarding the Processing of Client Data by ADP. If further information
   is requested, in agreement with Client, ADP will either a) allow an
   independent third party assessor to conduct an audit, no more than annually
   per client, subject to a 45 day written notice and bound by confidentiality
   terms, or b) provide the Client with a statement from a third party assessor,
   indicating ADP’s compliance with the ADP Privacy Code for Client Data
   Processing Services. Additionally, ADP will allow its Processing facilities
   to be audited by any DPA of an EEA Country which is competent to audit an ADP
   Client.
   
   The Global Chief Privacy Officer shall produce an annual report for the ADP
   Executive Committee on compliance with the ADP Privacy Code for Client Data
   Processing Services, privacy, data protection risks, and other relevant
   issues.
   
   Complaints Procedure
   
   Client Employees covered by the ADP Privacy Code for Client Data Processing
   Services may file a written complaint if they suspect that a member(s) of the
   ADP Group Companies has violated the commitments made in the ADP Privacy Code
   for Client Data Processing Services, as further defined in the ADP Privacy
   Code for Client Data Processing Services.
   
   Complaints must be submitted in writing to the ADP Global Data Privacy and
   Governance Team. Complaints may be submitted via email to privacy@adp.com or
   via mail to:
   
   ADP Delegated Entity
   ADP Nederland B.V.
   Lylantse Baan 1, 2908
   LG CAPELLE AAN DEN IJSSEL
   THE NETHERLANDS
   
   Client Employees may also file a complaint or claim with the relevant DPAs or
   the Courts.
   
   ADP Privacy Code for Client Data Processing Services
   
   For the full text of the ADP Privacy Code for Client Data Processing
   Services, please click www.adp.com/-/media/adp/privacy/pdf/bcrpc_en.pdf. For
   a list of the Group Companies bound by ADP’s Privacy Code for Client Data
   Processing Services, please click
   www.adp.com/-/media/adp/privacy/pdf/A3CoPC3.pdf.
   
   Contact Us
   
   For more information about ADP’s Privacy Program, including the ADP Privacy
   Code for Client Data Processing Services, please contact the Global Data
   Privacy and Governance team at privacy@adp.com.

 * ADP UK Privacy Code for Client Data Processing Services
   
          ADP UK Privacy Code for Client Data Processing Services (pdf)

 * ADP Cookie Privacy Statement
   
   Effective Date: May 8, 2018
   
   Last Updated: June 1, 2023
   
   When you visit our website or use our mobile applications, we collect certain
   information by automated means, using technologies such as cookies, pixel
   tags, browser analysis tools, server logs, and web beacons. For example, when
   you visit our website, we place cookies on your computer. Cookies are small
   text files that websites send to your computer or other Internet-connected
   device to uniquely identify your browser or to store information or settings
   in your browser. Cookies allow us to recognize you when you return. They also
   help us provide a customized experience and enable us to detect certain kinds
   of fraud. In many cases, you can manage cookie preferences and opt-out of
   having cookies and other data collection technologies used by adjusting the
   settings on your browser. All browsers are different, so visit the “help”
   section of your browser to learn about cookie preferences and other privacy
   settings that may be available.
   
   ADP also uses flash cookies (also known as local stored objects) and similar
   technologies to personalize and enhance your online experience. The Adobe
   Flash Player is an application that allows rapid development of dynamic
   content, such as video clips and animation. We use flash cookies for security
   purposes and to help remember settings and preferences similar to browser
   cookies, but these are managed through a different interface than the one
   provided by your web browser. To manage flash cookies, please see Adobe’s
   website at https://adobe.ly/2Kn1NL2 or visit www.adobe.com. ADP does not use
   flash cookies or similar technologies for behavioral or interest-based
   advertising purposes.
   
   Pixel tags and web beacons are tiny graphic images placed on website pages or
   in our emails that allow us to determine whether you have performed a
   specific action. When you access these pages or open or click an email, the
   pixel tags and web beacons generate a notice of that action. These tools
   allow us to measure response to our communications and improve our web pages
   and promotions.
   
   We collect many different types of information from cookies and other
   technologies. For example, we collect information from the device you use to
   access our website, your operating system type, browser type, domain, and
   other system settings, as well as the language your system uses and the
   country and time zone where your device is located. Our server logs also
   record the Internet Protocol (IP) address assigned to the device you use to
   connect to the Internet. An IP address is a unique number that devices use to
   identify and communicate with each other on the Internet. We may also collect
   information about the website you were visiting before you came to ADP and
   the website you visit after you leave our site.
   
   In many cases, the information we collect using cookies and other tools is
   only used in a non-identifiable way, without reference to Personal Data. For
   example, we use information we collect about website users to optimize our
   websites and to understand website traffic patterns. In some cases, we do
   associate the information we collect using cookies and other technology with
   your Personal Data. This Privacy Statement applies to the information when we
   associate it with your Personal Data.
   
   Our website may include embedded YouTube videos. When you click on an
   embedded YouTube video that video is loaded from a domain operated by
   YouTube. Although we have enabled the Privacy-Enhanced mode for embedded
   YouTube videos, which prevents YouTube from placing tracking cookies on your
   device when viewing these videos on our site, YouTube may collect your IP
   address and other devices information for their own purposes. To learn more
   about YouTube’s Privacy-Enhanced mode visit the YouTube support page at
   https://support.google.com/youtube/answer/171780. To learn more about
   YouTube’s processing of IP addresses visit YouTube’s privacy policy at
   https://policies.google.com/privacy.
   
   ADP has relationships with Third Party advertising companies to place
   advertisements on this website and other websites, and to perform tracking
   and reporting functions for this website and other websites. These Third
   Party advertising companies may place cookies on your computer when you visit
   our website or other websites so they can display targeted advertisements to
   you. These Third Party advertising companies do not collect Personal Data in
   this process, and we do not give Personal Data to them as part of this
   process. This Privacy Statement does not cover the collection methods or use
   of the information collected by these vendors. For more information about
   Third Party advertising, please visit the Network Advertising Initiative
   (NAI) at www.networkadvertising.org. You may opt out of being targeted by
   many Third Party advertising companies by visiting http://bit.ly/2Ig9IgT.
   
   Although our websites currently do not have a mechanism to recognize the
   various web browser Do Not Track signals, we do offer Individuals choices to
   manage their preferences that are provided in the previous sections above. We
   do expect our Third Party advertising companies to use reasonable efforts to
   respect browser Do Not Track signals by not delivering targeted
   advertisements to website visitors whose browsers have a Do Not Track setting
   enabled. However, we understand that some companies do not have this
   capability today. To learn more about browser tracking signals and Do Not
   Track please visit http://www.allaboutdnt.org/.
   
   ADP uses Google Analytics as a Third Party vendor. For information on how
   Google Analytics uses data, please visit “How Google uses data when you use
   our partners sites or apps”, located at http://bit.ly/2jXZ13Y.

 * California Consumer Privacy Statement
   
   Effective Date: January 1, 2020
   
   Last Updated: February 23, 2023
   
   Pursuant to the California Consumer Privacy Act of 2018, as amended by the
   California Privacy Rights Act (collectively, the “CCPA”), ADP, Inc. and its
   affiliates (“ADP,” “we,” or “us”) are providing the following Privacy
   Statement to explain how ADP collects, uses and discloses Personal Data that
   we collect from individuals who are residents of California, including but
   not limited to users who visit our websites or consumers who receive services
   directly from ADP. This Privacy Statement does not apply to Personal Data
   pertaining to ADP employees or employees of ADP clients where ADP is acting
   in its capacity as a service provider.
   
   For purposes of this Privacy Statement, Personal Data is information that
   identifies, relates to, or could reasonably be linked with a particular
   California resident or household.
   
   ADP also has a Global Data Privacy Policy that applies to all ADP companies
   worldwide. An overview of our Privacy Program is located at
   https://www.adp.com/about-adp/data-privacy.aspx.
   
   Collection, Disclosure, and Sharing of Personal Data
   
   The following details which categories of Personal Data we collect and
   process, which categories of third parties may have access to your Personal
   Data for operational business purposes, as well as which categories of
   Personal Data we “share” for purposes of cross-context behavioral
   advertising, including within the 12 months preceding the date this Privacy
   Statement was last updated.
   
   
   
   Sources of Personal Data
   
   We collect this Personal Data actively (e.g. direct input from individual) or
   passively (e.g. website cookies) from you. Additionally, we may also collect
   Personal Data from third-party sources, such as our affiliates, business
   partners, and service providers, listed above where applicable.
   
   Purposes for the Collection, Use and Sharing of Personal Data
   
   ADP uses your Personal Data for the following Business Purposes and
   objectives:
   
   
   
   Categories of Personal Information Disclosed to Which Categories of Third
   Parties for Operational Business Purposes (see below for a more detailed
   description of these categories) Shared with Which Categories of Third
   Parties for Cross-Context Behavioral Advertising Identifiers, such as name,
   contact information, unique personal identifiers, email address, IP address,
   online identifiers, government-issued identifiers. Service
   Providers/Subcontractors, Related Entities, Law enforcement/Legal
   authorities, Third Parties in the event of a Corporate Transaction, with your
   consent. Ad networks. Personal information as defined in the California
   customer records law, such as name, contact information, financial,
   education, employment information. Service Providers/Subcontractors, Related
   Entities, Law enforcement/Legal authorities, Third Parties in the event of a
   Corporate Transaction, with your consent. None. Characteristics of protected
   classifications under California or federal law, such as race, religious
   creed, color, national origin, ancestry, physical disability, mental
   disability, medical condition, marital status, sex, gender expression, gender
   identify, age, sexual orientation, military or veteran status. Service
   Providers/Subcontractors, Related Entities, Law enforcement/Legal
   authorities, Third Parties in the event of a Corporate Transaction, with your
   consent. None. Commercial Information, such as transaction information and
   purchase history, including purchases considered, consuming histories or
   tendencies. Service Providers/Subcontractors, Related Entities, Law
   enforcement/Legal authorities, Third Parties in the event of a Corporate
   Transaction, with your consent. None. Biometric Information, such as
   fingerprints, voiceprints and faceprints. Not Applicable. Not Applicable.
   Internet or network activity information, such as IP address, mobile device
   ids, MAC address, browsing history, search history. Service
   Providers/Subcontractors, Related Entities, Law enforcement/Legal
   authorities, Third Parties in the event of a Corporate Transaction, with your
   consent. Ad networks. Geolocation Data, such as precise location/tracking
   data and coarse location/tracking data. Service Providers/Subcontractors,
   Related Entities, Law enforcement/Legal authorities, Third Parties in the
   event of a Corporate Transaction, with your consent. None. Audio/Video Data,
   such as photographs. Service Providers/Subcontractors, Related Entities, Law
   enforcement/Legal authorities, Third Parties in the event of a Corporate
   Transaction, with your consent. None. Education Information subject to the
   federal Family Educational Rights and Privacy Act such as education and
   training history, education degrees, qualifications/certifications. Service
   Providers/Subcontractors, Related Entities, Law enforcement/Legal
   authorities, Third Parties in the event of a Corporate Transaction, with your
   consent. None. Employment Information. Professional or employment-related
   information, such as professional or employment related information such as
   work history and prior employer, background checks, performance rating or
   feedback, employer, occupation title/job role. Service
   Providers/Subcontractors, Related Entities, Law enforcement/Legal
   authorities, Third Parties in the event of a Corporate Transaction, with your
   consent. None. Inferences such as any assumptions drawn from any of the
   Personal Data listed above to create a profile about, for example, an
   individual’s preferences or characteristics. This is only applicable to
   consumers that purchase our TMBC product due to the nature of the product.
   Service Providers/Subcontractors, Related Entities, Law enforcement/Legal
   authorities, Third Parties in the event of a Corporate Transaction, with your
   consent. None. Sensitive Personal Information, such as social security,
   driver’s license, state identification card, or passport number; account
   log-in, financial account, debit card, or credit card number in combination
   with any required security or access code, password, or credentials allowing
   access to an account; precise geolocation; racial or ethnic origin, religious
   or philosophical beliefs, citizenship, immigration status, union membership.
   Service Providers/Subcontractors, Related Entities, Law enforcement/Legal
   authorities, Third Parties in the event of a Corporate Transaction, with your
   consent. None.
   
   
   
   Detailed Description of Categories of Third Parties
   
   Third Parties that ADP may disclose your Personal Data are as follows:
   
   
   
   (a)  Service Providers/Subcontractors
   ADP may share your Personal Data with our subcontractors for certain business
   purposes. This information is provided in order for them to provide ADP with
   services such as payment processing, advertising services, marketing
   partners, web analytics, data processing, IT services, customer support and
   other services such as for the purpose of auditing and fraud investigations.
   (b)  Related Entities
   ADP may share Personal Data between and among ADP, its subsidiaries, and
   affiliated companies for purposes of management and analysis, and other
   business purposes. For instances, ADP may share your Personal Data with our
   subsidiaries and affiliated companies to expand and promote our product and
   service offerings. (c)  Law Enforcement/Legal Authorities
   ADP may be required to disclose your Personal Data to third parties including
   law enforcement agencies when required to protect and defend our legal
   rights, protect the safety and security of users of our Services, prevent
   fraud, respond to legal process, or a request for cooperation by a government
   entity, as required by law. (d)  Corporate Transactions
   In the event of sale, transfer, merger, reorganization, or similar event, ADP
   may transfer your Personal Data to one or more third parties as part of that
   transaction with the business entities or people involved in the deal
   negotiation or transfer. (e)  With Your Consent
   ADP may share Personal Data about you with other third-party companies if you
   give us permission or direct us to share the information. ADP will share
   Personal Data with authorized agents that you authorize ADP to communicate
   to. We do not sell and have not sold Personal Data, including your Sensitive
   Personal Data, in the preceding 12 months. Without limiting the foregoing, we
   do not sell the Personal Data, including the Sensitive Personal Data, of
   minors under 16 years of age. We do not knowingly “share” the Personal Data,
   including the Sensitive Personal Data, of minors under 16 years of age.
   
   
   
   Sources of Personal Data
   
   We collect this Personal Data actively (e.g. direct input from individual) or
   passively (e.g. website cookies) from you. Additionally, we may also collect
   Personal Data from third-party sources, such as our affiliates, business
   partners, and service providers.
   
   Purposes for the Collection, Use and Sharing of Personal Data
   
   ADP uses your Personal Data for the following Business Purposes and
   objectives:
   
   
   
   (a)  Business Purposes for processing Personal Data pertaining to consumers.
   Personal Data pertaining to consumers with whom ADP has a business
   relationship may be processed as needed:   (1)  To provide the information,
   product, or service requested by the individual, and as would be reasonably
   expected by the individual given the context in which the Personal Data was
   collected, and the information provided in the applicable privacy statement
   given to the individual (such as for personalization, remembering
   preferences, or respecting individual rights);   (2)  For due diligence,
   including verifying the identity of the individual, as well as the
   eligibility of the individual to receive information, products, or services
   (such as verifying age, employment, or account status);   (3)  To send
   transactional communications (such as requests for information, responses to
   requests for information, orders, confirmations, training materials, and
   service updates);   (4)  To manage the individual's account, such as for
   customer service, finance, and dispute resolution purposes;   (5) For risk
   management and mitigation, including for audit and insurance functions, and
   as needed to license and protect intellectual property and other assets;  
   (6) For security management, including monitoring individuals with access to
   the website; applications, systems, or facilities, investigation of threats,
   and as needed for any data security breach notification; and   (7) To
   anonymize or de-identify the Personal Data. Where we maintain or use
   de-identified information, we will continue to maintain and use such
   information only in a de-identified fashion and will not attempt to
   re-identify such information. (b)  Business-necessary processing activities.
   ADP may process Personal Data as needed (i) to protect the privacy and
   security of the Personal Data it maintains, such as in connection with
   advanced security initiatives and threat detection; (ii) for treasury
   operations and money movement activities; (iii) for compliance functions,
   including screening individuals against sanction lists in connection with
   anti-money laundering programs; (iv) for business structuring activities,
   including mergers, acquisitions, and divestitures; and (v) for business
   activities, management reporting, and analysis. (c)  Development and
   improvement of products and/or services. ADP may process Personal Data to
   develop and improve its products and/or services, and for research,
   development, analytics, and business intelligence. (d)  Relationship
   management and marketing. ADP may process Personal Data for relationship
   management and marketing. This purpose includes sending marketing and
   promotional communications to individuals who have not objected to receiving
   such messages, such as product and service marketing communications, investor
   communications, Client communications (e.g., HR compliance alerts, product
   updates, and training opportunities and invitations to ADP events), customer
   satisfaction surveys, supplier communications (e.g., requests for proposals),
   corporate communications, and ADP news. (e)  Operational purposes.
   Additionally, ADP uses your Personal Data for purposes such as: (i) disaster
   recovery and business continuity; (ii) internal audits or investigations;
   (iii) implementation or verification of business controls; (iv) statistical,
   historical, or scientific research; (v) dispute resolution; (vi) legal or
   business counseling; (vii) compliance with laws and company policies; and/or
   (viii) insurance purposes.
   
   
   
   Purposes for the Collection and Use of Sensitive Personal Data
   
   Subject to your consent where required by applicable law, we may use
   Sensitive Personal Data for purposes of performing services for our business,
   providing goods or services as requested by you, ensuring security and
   integrity, short term transient use such as displaying first party,
   non-personalized advertising, servicing accounts, providing customer service,
   verifying customer information, processing payments, and activities relating
   to quality or product improvement.
   
   Retention Period
   
   We retain Personal Data for as long as needed or permitted in light of the
   purpose(s) for which it was collected. The criteria used to determine our
   retention periods include:
   
   
   
   (a)  The length of time we have an ongoing relationship with you and provide
   services to you (for example, for as long as you have an account with us or
   keep using our services) and the length of time thereafter during which we
   may have a legitimate need to reference your Personal Data to address issues
   that may arise; (b)  Whether there is a legal obligation to which we are
   subject (for example, certain laws require us to keep records of your
   transactions for a certain period of time before we can delete them); or (c) 
   Whether retention is advisable in light of our legal position (such as in
   regard to applicable statutes of limitations, litigation or regulatory
   investigations).
   
   
   
   California Consumer Rights
   
   If you are a California resident you may make the following requests, subject
   to applicable law:
   
   
   
   (a)  Right to Access and Know -- You may request that we disclose to you the
   following information covering the 12 months preceding your request:   (1) 
   The categories of Personal Data we collected about you and the categories of
   sources from which we collected such Personal Data;   (2)  The specific
   pieces of Personal Data we collected about you;   (3)  The business or
   commercial purpose for collecting or sharing Personal Data about you;   (4) 
   The categories of Personal Data about you that we shared (as defined under
   the applicable privacy law) and the categories of third parties with whom we
   shared such Personal Data; and   (5) The categories of Personal Data about
   you that we otherwise disclosed, and the categories of third parties to whom
   we disclosed such Personal Data (if applicable). (b)  Right to Request
   Correction of your Personal Data -- You may request to correct inaccuracies
   in your Personal Data; (c)  Right to Request Deletion of your Personal Data
   -- You may request to have your Personal Data deleted; and (d)  Right to
   Opt-out of Sharing for Cross-Context Behavioral Advertising -- You may
   request to opt out of the “sharing” of your Personal Data for purposes of
   cross-context behavioral advertising.
   
   
   
   We will not unlawfully discriminate against you for exercising your rights
   under the CCPA.
   
   How to submit a California Rights Request
   
   To make a privacy request, please contact us by clicking here or by emailing
   us at privacy@adp.com. We will verify and respond to your request consistent
   with applicable law, taking into account the type and sensitivity of the
   Personal Data subject to the request. We may need to request additional
   Personal Data from you, such as your name and email address, in order to
   verify your identity and protect against fraudulent requests. If you maintain
   a password-protected account with us, we may verify your identity through our
   existing authentication practices for your account and require you to
   re-authenticate yourself before disclosing or deleting your Personal Data. If
   you make a request to delete, we may ask you to confirm your request before
   we delete your Personal Data.
   
   To request to opt out of any future sharing of your Personal Data for
   purposes of targeted advertising, please go to https://www.adp.com and click
   the Cookie Preferences – Do Not Share My Data link at the bottom of the page
   and toggle off advertising cookies.
   
   Authorized Agents Submitting a Request on Behalf of a Consumer
   
   You may choose to designate an authorized agent to make a request under the
   CCPA on your behalf. No information will be disclosed until the authorized
   agent’s authority has been reviewed and verified. Agents may be asked to
   provide proof of their status as an authorized agent. Once a request has been
   submitted by an authorized agent, we may require additional information from
   you to verify your identity as described in the section entitled “How to
   Submit a California Rights Request” or confirm that you provided the agent
   permission to submit the request. Authorized agents click here to submit a
   request.
   
   Changes to this California Consumer Privacy Statement
   
   We may change or update this Privacy Statement from time to time. When we do,
   we will communicate updates to this Privacy Statement by posting the updated
   Statement on this page with a new “Last Updated” date. For a printable copy
   of this Privacy Statement, please go to
   www.adp.com/-/media/adp/privacy/pdf/ccpaps_en.pdf.
   
   Contact Us
   
   If you have any questions regarding this California Consumer Privacy
   Statement, please contact us at privacy@adp.com. You may also reach us at:
   
   ADP
   ADP Global Data Privacy and Governance Team
   MS 325
   One ADP Boulevard
   Roseland, NJ 07068-1728 USA

 * Colorado, Connecticut, Utah & Virginia Consumer Privacy Statement
   
   Effective Date: January 1, 2023
   
   LAST UPDATED: February 23, 2023
   
   ADP, Inc. and its affiliates (“ADP,” “we,” or “us”) are providing the
   following Privacy Statement to explain how ADP collects, uses and discloses
   Personal Data that we collect from consumers (“you”) who are residents of
   Colorado, Connecticut, Utah, and Virginia, including but not limited to users
   who visit our websites and consumers who receive services directly from ADP.
   Personal Data is information that identifies, relates to, or could reasonably
   be linked with a particular individual. Please note that this Privacy
   Statement does not apply to individuals residing in Colorado, Connecticut,
   Utah, and Virginia who are acting in an employment or commercial context,
   including employees of ADP clients.
   
   ADP also has a Global Data Privacy Policy that applies to all ADP companies
   worldwide. An overview of our Privacy Program is located at
   https://www.adp.com/about-adp/data-privacy.aspx.
   
   Collection and Disclosure of Personal Data
   
   The following details which categories of Personal Data we collect and
   process, as well as which categories of third parties may have access to your
   data for operational business purposes.
   
   (a) Categories of Personal Data
   
   
   
    1.  Identifiers
        Such as name, contact information, unique personal identifiers, email
        address, IP address, online identifiers, government-issued identifiers.
        
        
    2.  Personal Data
        Such as name, contact information, financial, education, employment
        information.
        
        
    3.  Characteristics of Protected Classifications
        Such as race, religious creed, color, national origin, ancestry,
        physical disability, mental disability, medical condition, marital
        status, sex, gender expression, gender identify, age, sexual
        orientation, military and veteran status.
        
        
    4.  Commercial Information
        Such as transaction information and purchase history, including
        purchases considered, consuming histories or tendencies.
        
        
    5.  Biometric Information
        Not Applicable.
        
        
    6.  Internet or Network Activity Information
        Such as IP address, mobile device ids, MAC address, browsing history,
        search history.
        
        
    7.  Geolocation Data
        Such as precise location/tracking data and coarse location/tracking
        data.
        
        
    8.  Audio/Video Data
        Such as photographs.
        
        
    9.  Education Information
        Such as education and training history, education degrees,
        qualifications/certifications.
        
        
    10. Employment Information
        Such as professional or employment related information such as work
        history and prior employer, background checks, performance rating or
        feedback, employer, occupation title/job role.
        
        
    11. Inferences
        Such as any assumptions drawn from any of the Personal Data listed above
        to create a profile about, for example, an individual’s preferences or
        characteristics. This is only applicable to consumers that purchase our
        TMBC product due to the nature of the product.
        
        
    12. Sensitive Personal Data
        Such as racial or ethnic origin, religious beliefs, mental or physical
        health diagnoses, condition, history or treatment, sexual orientation
        and sex life, citizenship or immigration status, genetic data, biometric
        data, precise geolocation data, Personal Data collected from a known
        child.
        
        
   
   
   
   
   
   (b) Disclosure of Personal Data to Third Parties
   ADP may disclose all of the above categories of Personal Data to the
   following categories of Third Parties:
   
   
   
   
   
    1. Service Providers/Subcontractors
       ADP may share your Personal Data with our subcontractors for certain
       business purposes. This information is provided in order for them to
       provide ADP with services such as payment processing, advertising
       services, marketing partners, web analytics, data processing, IT
       services, customer support and other services such as for the purpose of
       auditing and fraud investigations.
       
       
    2. Related Entities
       ADP may share Personal Data between and among ADP, its subsidiaries, and
       affiliated companies for purposes of management and analysis, and other
       business purposes. For instances, ADP may share your Personal Data with
       our subsidiaries and affiliated companies to expand and promote our
       product and service offerings.
       
       
    3. When Required by Law
       ADP may be required to disclose your Personal Data to third parties
       including law enforcement agencies when required to protect and defend
       our legal rights, protect the safety and security of users of our
       Services, prevent fraud, respond to legal process, or a request for
       cooperation by a government entity, as required by law.
       
       
    4. Corporate Transactions
       In the event of sale, transfer, merger, reorganization, or similar event,
       ADP may transfer your Personal Data to one or more third parties as part
       of that transaction with the business entities or people involved in the
       deal negotiation or transfer.
       
       
    5. With Your Consent
       ADP may share Personal Data about you with other third-party companies if
       you give us permission or direct us to share the information. ADP will
       share Personal Data with authorized agents that you authorize ADP to
       communicate to.
       
       
   
   
   
   We do not sell Personal Data.
   
   Purposes for the Collection, Use and Sharing of Personal Data
   
   ADP uses your Personal Data for the following business purposes and
   objectives:
   
   
   
   (a)  Business purposes for processing Personal Data pertaining to consumers.
   Personal Data pertaining to consumers with whom ADP has a business
   relationship may be processed as needed:]]
   
   
   
   
   
    1. To provide the information, product, or service requested by the
       individual, and as would be reasonably expected by the individual given
       the context in which the Personal Data was collected, and the information
       provided in the applicable privacy statement given to the individual
       (such as for personalization, remembering preferences, or respecting
       individual rights);
       
       
    2. For due diligence, including verifying the identity of the individual, as
       well as the eligibility of the individual to receive information,
       products, or services (such as verifying age, employment, or account
       status);
       
       
    3. To send transactional communications (such as requests for information,
       responses to requests for information, orders, confirmations, training
       materials, and service updates);
       
       
    4. To manage the individual's account, such as for customer service,
       finance, and dispute resolution purposes;
       
       
    5. For risk management and mitigation, including for audit and insurance
       functions, and as needed to license and protect intellectual property and
       other assets;
       
       
    6. For security management, including monitoring individuals with access to
       the website; applications, systems, or facilities, investigation of
       threats, and as needed for any data security breach notification; and
       
       
    7. To anonymize or de-identify the Personal Data. Where we maintain or use
       de-identified information, we will continue to maintain and use such
       information only in a de-identified fashion and will not attempt to
       re-identify such information.
   
   
   
   
   
   (b)  Business-necessary processing activities. ADP may process Personal Data
   as needed (i) to protect the privacy and security of the Personal Data it
   maintains, such as in connection with advanced security initiatives and
   threat detection; (ii) for treasury operations and money movement activities;
   (iii) for compliance functions, including screening individuals against
   sanction lists in connection with anti-money laundering programs; (iv) for
   business structuring activities, including mergers, acquisitions, and
   divestitures; and (v) for business activities, management reporting, and
   analysis.
   
   
   
   
   
   (c)  Development and improvement of products and/or services. ADP may process
   Personal Data to develop and improve its products and/or services, and for
   research, development, analytics, and business intelligence.
   
   
   
   
   
   (d)  Relationship management and marketing. ADP may process Personal Data for
   relationship management and marketing. This purpose includes sending
   marketing and promotional communications to individuals who have not objected
   to receiving such messages, such as product and service marketing
   communications, investor communications, Client communications (e.g., HR
   compliance alerts, product updates, and training opportunities and
   invitations to ADP events), customer satisfaction surveys, supplier
   communications (e.g., requests for proposals), corporate communications, and
   ADP news.
   
   
   
   
   
   (e)  Operational purposes. Additionally, ADP uses your Personal Data for
   purposes such as: (i) disaster recovery and business continuity; (ii)
   internal audits or investigations; (iii) implementation or verification of
   business controls; (iv) statistical, historical, or scientific research; (v)
   dispute resolution; (vi) legal or business counseling; (vii) compliance with
   laws and company policies; and/or (viii) insurance purposes.
   
   
   
   Consumer Rights
   
   Subject to applicable law, you may make the following requests:
   
   
   
   (a)  Right to Know -- You may request to know whether we process your
   Personal Data and request to access such Personal Data, including, where
   applicable, a request to obtain a copy of the Personal Data you provided to
   us in a portable format; (b)  Right to Request Correction of your Personal
   Data -- You may request to correct inaccuracies in your Personal Data; (c) 
   Right to Request Deletion of your Personal Data -- You may request to have
   your Personal Data deleted; and (d)  Right to Opt-out of Targeted Advertising
   -- You may request to opt out of targeted advertising.
   
   
   
   We will not unlawfully discriminate against you for exercising your rights
   under applicable privacy law.
   
   How to Submit a Rights Request
   
   To make a privacy request, please contact us by emailing us at
   privacy@adp.com or by mailing us at: ADP, ADP Global Data Privacy and
   Governance Team MS 325, One ADP Boulevard, Roseland, NJ 07068-1728 USA. We
   will verify and respond to your request consistent with applicable law,
   taking into account the type and sensitivity of the Personal Data subject to
   the request. We may need to request additional Personal Data from you, such
   as your name and email address, in order to verify your identity and protect
   against fraudulent requests. If you maintain a password-protected account
   with us, we may verify your identity through our existing authentication
   practices for your account and require you to re-authenticate yourself before
   disclosing or deleting your Personal Data. If you make a request to delete,
   we may ask you to confirm your request before we delete your Personal Data.
   
   To request to opt out of any future sharing of your Personal Data for
   purposes of targeted advertising, please go to https://www.adp.com and click
   the Cookie Preferences – Do Not Share My Data link at the bottom of the page
   and toggle off advertising cookies.
   
   Appeal Process
   
   If you are a Colorado, Virginia, or Connecticut consumer, and we refuse to
   take action on your request, you may appeal our refusal within a reasonable
   period after you have received notice of the refusal. You may file an appeal
   by contacting us via email at privacy@adp.com.
   
   Changes to this Consumer Privacy Statement
   
   We may change or update this Privacy Statement from time to time. When we do,
   we will communicate updates to this Privacy Statement by posting the updated
   Statement on this page with a new “Last Updated” date. For a printable copy
   of this Privacy Statement, please go to
   www.adp.com/-/media/adp/privacy/pdf/ccvucps_en.pdf.
   
   Contact Us
   
   If you have any questions regarding this Consumer Privacy Statement, please
   contact us at privacy@adp.com. You may also reach us at:
   
   ADP
   ADP Global Data Privacy and Governance Team
   MS 325
   One ADP Boulevard
   Roseland, NJ 07068-1728 USA

 * Nevada Privacy Rights
   
   ADP collects personal information from you in the course of providing
   requested services. Unless otherwise stated, ADP does not sell any Covered
   Information, as defined under Nevada law (S.B. 220). If you would like to
   make a further inquiry regarding the selling of your Covered Information, as
   defined under Nevada law, please contact privacy@adp.com.

 * ADP Privacy Program Details and How to Contact Us
   
   Privacy Program Brochures:
   
          Complying with Privacy Laws Across the Globe
   
          How ADP Helps Companies Comply with GDPR
   
   Glossary: www.adp.com/-/media/adp/privacy/pdf/glossary_en.pdf
   
   Contact the Privacy Team at privacy@adp.com.

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