DEIF Korea Co., Ltd Terms and Conditions of Sale and Delivery for Products claimant’s patent, copyright, trademark, or trade secret; and (b) hold the customer harmless against damages and costs awarded by final judgment in such proceeding to the extent directly and solely attributable to such infringement. Notwithstanding the foregoing, DEIF is not liable for any patent infringement arising from compliance with the customer’s design, specifications or instructions. DEIF has no obligation or liability towards the customer (1) if DEIF is not (i) promptly notified in writing of any such claim and (ii) given the sole right to control and direct the investigation, preparation, defence and settlement of such claim, including the selection of counsel and (iii) given full reasonable assistance and cooperation by the customer in such investigation, preparation, settlement and defence; (2) if the claim is made after a period of three years from the date of delivery of the product. If any product is or in DEIF’s opinion is likely to become the subject of a claim of infringement as referred to above, DEIF has a right, but not an obligation to: (i) procure for the customer the right to continue to use or sell the product or (ii) replace or modify the product in such a way as to make the modified product non- infringing or (iii) terminate any supply agreement to the extent it is related to such product. Subject to the exclusions and limitations set forth in item 11 above, the foregoing constitutes DEIF’s entire liability and obligation towards the customer with respect to any actual or alleged infringement of any intellectual property rights of any kind. 15. FORCE MAJEURE DEIF is not liable for any non-performance of DEIF’s obligations if such non-performance is attributable to circumstances which can be regarded as being beyond the control of the company, including but not limited to strike, fire, war, mobilesation, requisitions, sequestration, foreign exchange restrictions, uprising and unrest, shortage of transportation, general scarcity of goods, restrictions concerning energy or defects or delays in deliveries from subsuppliers which are attributable to similar circumstances as the ones listed in this provision. 16. EXPORT CONTROLS AND COMPLIANCE The products may be subject to export controls, and the delivery is therefore subject to the granting of the export authorisation required. The customer shall not sell, export or re-export, directly or indirectly, the products to the Russian Federation and/or Belarus or for use in the Russian Federation and/or Belarus. The customer shall undertake its best efforts to ensure that the purpose of this clause is not frustrated by any third parties, including by possible resellers. Violation of this clause constitutes a material breach, and DEIF shall be entitled to seek appropriate remedies, including, but not limited to cancellation of any future orders already acknowledged. 17. DATA INFORMATION FOR CONNECTED PRODUCTS AND RELATED SERVICES The following information concerns DEIF’s connected products and related services. It is provided to ensure compliance with the EU Data Act and to inform customers about how data is generated, stored, and accessed. 1. PICUS 1.1 What data is collected? (a) We collect anonymized usage data. Users outside DEIF are recorded as “public,” while DEIF employees are identified by their initials. Data is stored in ElasticSearch format, with approximately 20,000 activities logged each month. 1.2 How is data generated? (a) Data is created based on events and captured in real time. 1.3 Where and how long is data stored? (a) Data is stored securely on a remote server. We keep data permanently, or until storage limits require deletion. Currently, we retain less than five years of data. 1.4 How can you access, retrieve, or delete your data? (a) You can request access to your data by emailing data@deif.com. We provide data free of charge in the form of database exports. Because the data is anonymized, it’s generally not possible to isolate or delete individual users’ data. In the future, we may offer additional ways to access your data directly. 2. Insight 2.1 What data is collected? (a) We collect asset data (ADX on Microsoft Azure), company data, user data, and audit data (SQL on Microsoft Azure). On average, we process about 100,000 asset records per day, 5 company records per month, 20 user records per month, and 5,000 audit activities per month. 2.2 How is data generated? (a) Asset and audit data are generated in real time when events occur. Company and user data are generated on creation/maintenance. 2.3 Where and how long is data stored? (a) Asset data is stored accordingly: (i) Free service: up to 90 days (ii) Paid service: 3 months to 12 months (iii) Other data is kept until the end of your service or deleted upon request. 2.4 How can you access, retrieve, or delete your data? (a) Paid users have continuous access to asset data through the platform. Free users can access asset data for up to 90 days. You can delete your profile yourself or request deletion. (b) Third-party access is possible via portal/API, controlled by credentials and SLA. Data is free, structured, machine-readable, and is provided in real-time where possible. 3. Who to Contact 3.1 DEIF is the official data holder for all data generated by our connected products and services. We are committed to helping you access, retrieve, or delete your data in line with EU Data Act requirements. If you have any questions or wish to request your data, please contact our dedicated team at data@deif.com. We will respond promptly and support you throughout the process. 18. DEVELOPER EDITION FIRMWARE The Developer/Engineering Edition Firmware (identified as “iE x50 UPE vX” software bundle) is intended solely for advanced development purposes. It permits users to edit or remove embedded cybersecurity rules and policies, perform customizations, run own applications or integrate 3rd party software, that inhibits DEIF to take responsibility for the software to comply with product relevant cyber security standards. To the extent that the customer modifies or disables such cybersecurity features, DEIF shall bear no responsibility or liability for any resulting security vulnerabilities, unauthorized external access, data breaches, or any other interference or damages affecting the project. The customer assumes full responsibility for the consequences of any such modifications and has the responsibility for relevant cyber security certifications. 19. DISPUTES Any dispute in connection with the trading relation between the parties which cannot be settled amicably, shall be finally settled by the court determined in accordance with the provisions of the Civil Procedure Act of the Republic of Korea. Korean law shall apply. The trade terms mentioned in item 3 above shall be governed and interpreted by the Incoterms 2020. Ref.: 4040000056G Page 2 of 2
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