1. Purpose and roles
PCGROUP, LLC / JBComm may engage Subprocessors for authorized processing in enabled AIMarket / OmniReach Services. They process Customer Personal Data on our behalf when we act as processor/service provider. Independently selected integrations or separate-controller sources have distinct roles and must not be inaccurately labeled Subprocessors.
2. Applicable Subprocessor list
The public list does not currently identify individual providers. This is not a statement that no suppliers process data. Obtain the approved scoped contractual list before execution or reliance.
| Provider | Service category | Processing purpose | Processing location/region, where appropriate | Applicable AIMarket Services |
|---|---|---|---|---|
| Contact sales@jbcomm.net for the applicable approved contractual list. | ||||
Do not infer provider relationships from industry references. An approved confidential list may be used where legally sufficient; confidentiality does not defeat mandatory disclosure/authorization.
3. Assessment and contracts
Engagement obligations under the DPA include reasonable review of relevant processing/safeguards and written confidentiality, security, lawful-instruction, assistance, and data-use protections. AI suppliers processing identifiable tenant data on our behalf must follow the training restriction. DPA responsibility/flow-down duties apply.
Authorization and applicable contractual requirements must be met before delegated processing.
4. Authorization, notice, and objections
For general authorization, provide the approved list before processing and advance written notice of additions/replacements with meaningful reasonable data-protection objections. Complete channel, period, objection window, and resolution in DPA Annex F. Specific authorization and mandatory law control where required.
Neither an empty list nor a generic provider category authorizes actual processing.
5. Regions and transfers
Disclosures must identify relevant processing regions and affected Services as appropriate to legal duties and actual processing. Complete safeguards before restricted transfers under the DPA. No residency/global availability or executed-transfer-framework promise is made.
6. Requests and version control
Contact sales@jbcomm.net for the applicable approved contractual list or supplier questions. Applicable list versions and Customer notifications follow the DPA and signed agreement. Website publication alone does not amend a signed agreement.