Product
Accounts receivables agents
Receivables doesn't have to be the Wild West
Collections
Hire one AI. Collect everything.
Dispute management
Every open dispute is cash held hostage
Reconciliation & cash application
Cash application straight from the horse's mouth
AP portal uploads
Stop doing unpaid labor for your customers' AP departments
Payment orchestration
Round up your payment mix. Every payer on the right rail.
This is the Data Protection Addendum incorporated as Attachment (a) to the Lunos Cash Flow Forecast Agreement. It consists of the Bonterms Standard Data Protection Addendum Version 2.0 (Attachment Version), reproduced unmodified below, together with the DPA Details and Additional Terms we have completed.
| Main Agreement | The Lunos Cash Flow Forecast Agreement at lunos.ai/cash-flow-forecast-terms |
|---|---|
| DPA Effective Date | The Effective Date of the Main Agreement, being the date Customer first accesses the Cloud Service |
| Subprocessor List | trust.lunos.ai/subprocessors |
| Designated EU Governing Law | The laws of Ireland |
| Designated EU Member State | Ireland |
Lunos Inc is certified under the EU-U.S. Data Privacy Framework, the UK Extension and the Swiss-U.S. Data Privacy Framework, so transfers to Lunos in the United States are not Restricted Transfers and the Standard Contractual Clauses in Exhibit A do not apply. The two Designated EU fields are completed so that those clauses remain available as a fallback.
| Name | The Customer identified in the account for the Cloud Service |
|---|---|
| Contact details for data protection | As provided by Customer in its account |
| Customer activities | Preparing and maintaining a cash flow forecast |
| Role | Controller |
| Name | Lunos Inc |
|---|---|
| Contact details for data protection | privacy@lunos.ai |
| Main address | 305 7th Ave, 2B, New York, NY 10001, USA |
| Provider activities | Providing the Lunos cash flow forecast Cloud Service |
| Role | Processor |
| Categories of data subjects | Customer’s customers; Customer’s business contacts; Users; employees and other personnel of Customer |
|---|---|
| Categories of Customer Personal Data | Contact information; account information; professional information; transaction information; unique identifiers; and bank account and other financial account identifiers appearing in bank statements and in accounts receivable and accounts payable registers |
| Sensitive or special categories | None / Not applicable. For clarity, financial account information is submitted to the Cloud Service but is not a special category of data under Article 9(1) of Regulation (EU) 2016/679 |
| Frequency of transfer | Continuous |
| Nature of the processing | Processing operations required to provide the Service in accordance with the Main Agreement |
| Purpose of the processing | To provide the Service and carry out Customer Instructions |
| Duration / retention period | Concurrent with the term of the Main Agreement and thereafter pursuant to Section 8 (Data Return or Deletion) of this DPA |
| Transfers to Subprocessors | As described in the Subprocessor List for the purposes described there |
| Competent EU supervisory authority | Determined in accordance with Clause 13 of the EU SCCs if and when those clauses apply |
| Security Measures | See Main Agreement |
1.In Section 4.3 (Notice of New Subprocessors), “30 days” is replaced with “10 days”.
2.The definition of “Subprocessor Notice Method” is replaced with: “publication of the updated Subprocessor List at trust.lunos.ai/subprocessors, together with email notification to those Customers who have subscribed to updates through that page.”
3.The following is added to Section 4.3: “Where Provider needs to add or replace a Subprocessor on an urgent basis in order to preserve the security, availability or continuity of the Service, or because an existing Subprocessor ceases to provide its services, Provider may do so before the notice period has elapsed, and will update the Subprocessor List and notify Customer as soon as reasonably practicable.”
Reproduced below is the complete, unmodified text of the Bonterms Standard Data Protection Addendum Version 2.0 (Attachment Version), other than the blank DPA Details template, which is completed above. Also available at this link.
This Bonterms Data Protection Addendum Version 2.0 (Attachment Version) ("DPA") is a set of standard terms entered into between Customer and Provider by completing the DPA Details and executing a written agreement that expressly incorporates this DPA (including the completed DPA Details) into the Main Agreement. The incorporation may be made in the Main Agreement itself or in an amendment, addendum or other written agreement.
Exhibit A: Cross-Border Transfer Mechanisms
Exhibit B: Region-Specific Terms
A. CALIFORNIA