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Nexer Enterprise Applications

Subprocessors

Below is Nexer Enterprise Applications current list of approved subprocessors engaged to support the delivery of our services to customers. These subprocessors may provide infrastructure services, specialist expertise or support functions that enable Nexer Enterprise Applications to fulfil its obligations as a data processor.

All Nexer entities process personal data in accordance with the applicable data protection laws of their jurisdictions, including EU GDPR, UK GDPR/DPA 2018, Brazil LGPD, Colombia Law 1581/2012 and related SIC circulars, India Digital Personal Data Protection Act 2023 (incl. DPDP Rules 2025), and relevant US state privacy laws.
Each subprocessor listed has been appointed in accordance with the requirements of Article 28 UK GDPR and EU GDPR, including (i) prior customer authorisation where required, (ii) a written data processing agreement imposing data protection obligations that are substantially similar to those contained in Nexer’s Data Processing Agreement, and (iii) ongoing oversight to ensure continued compliance with applicable data protection legislation.

The list applies to all Nexer Enterprise Applications companies relying on Nexer Enterprise Applications as a data processor, except that no entity is considered a subprocessor to itself. Where a Nexer legal entity appears in the list, it functions as a subprocessor only for the other Nexer entities that use its services.

Nexer Enterprise Applications will update this list as necessary to reflect changes in our subprocessing arrangements. Customers may subscribe to updates or request notifications in accordance with their contract. If an update introduces a new subprocessor, customers will be provided with an opportunity to object where their agreement grants such a right.

Effective starting: 4th March 2026