1. Scope
These terms supplement the Agreement with PCGROUP, LLC / JBComm for the named AIMarket / OmniReach Service only where contracted and enabled. Master Terms definitions apply. Availability may vary by agreement, plan, tenant configuration, geography, and provider availability; no described capability is guaranteed released or included.
Prospect may assist opportunity discovery, company/contact research, organization of business information, qualification, and prioritization. Use is limited to permissible business/professional purposes.
2. Sources and Enriched Data
Customer-supplied or authorized third-party business information remains subject to source licenses, limits, notices, and third-party rights. Access is not ownership or unrestricted reuse. Public/professional information may remain Personal Data. Do not unlawfully harvest, combine, or evade restrictions.
Separate-controller relationships must be assessed and agreed where appropriate; DPA processing does not authorize independent reuse.
3. Accuracy and results
Information may be incomplete, inaccurate, or outdated; enrichment and AI can produce errors. Verify identity, role, contact information, and permissions as appropriate to intended use. No accuracy, suitability, response, conversion, or revenue guarantee is made.
4. Lawful processing and contact
You must determine lawful basis for processing information about a person and contacting them, and meet required notices, consent, marketing, and source/provider restrictions. Contact information is not consent.
The AUP’s original rule remains: purchased/third-party lead lists require verifiable consent and legal contact rights. A different lawful basis under a statute does not silently waive this stricter contractual condition.
5. Requests, deletion, opt-outs, and suppression
Honor applicable corrections, deletion, opt-outs, suppression, do-not-contact, and lawful source restrictions. Use contracted controls and request assistance as needed; no unimplemented workflow is promised.
Where lawful and necessary, deleting a prospect or contact may leave a minimum suppression record solely to prevent renewed contact, re-importing, or re-enrichment of that person. An identifiable suppression record remains Personal Data, must be restricted to honoring the request and protected against other use, and may be retained only for its justified purpose.
Establish role, lawful basis, minimum record, and retention before treating suppression as a deletion exception. Suppression data is not permission for renewed profiling.
6. Sensitive and high-impact uses
Do not use Prospect for stalking, unlawful surveillance, deceptive impersonation, discrimination, or child targeting.
Do not use enrichment, prospecting, or AI to target people by health, race or ethnicity, religion, sexual orientation, biometric identifiers, citizenship or immigration status, precise geolocation, children’s information, or similarly sensitive characteristics by default. Any specifically supported sensitive processing requires a lawful purpose, required notices and permissions, appropriate safeguards, and express contractual authorization. Legal definitions and requirements vary by jurisdiction and context.
Business data does not authorize unlawful high-impact decisions; the AI Addendum applies to automated employment, credit, housing, insurance, healthcare-eligibility, and similar decisions.
7. Customer practices and exports
Establish lawful sources, purposes, retention, access, and required notices. Do not represent source information as independently verified unless verified. Exports remain subject to third-party rights, suppression, and lawful-use duties.