Sub-Processor List
Last updated August 5, 2026
Version 1.1 - Effective 5 August 2026
This Sub-Processor List forms part of the Realytics Data Processing Addendum. It identifies Realytics Affiliates and third-party Sub-Processors authorised to Process Customer Personal Data on behalf of Realytics.
Realytics will update this list and provide notice as described in the DPA before authorising a new Sub-Processor to Process Customer Personal Data.
1. Authorised Sub-Processors
|
Sub-Processor |
Function |
Location |
|---|---|---|
|
Amazon Web Services, Inc. |
Cloud infrastructure and storage |
United States, Ireland, Germany |
|
Google Cloud Platform (Google LLC / Google Ireland Ltd) |
Cloud infrastructure, data warehousing |
United States, European Union |
|
Hetzner Online GmbH |
Dedicated server hosting and data centre facilities |
Germany, Finland |
|
Cloudflare, Inc. |
Content delivery, traffic management and edge services |
Processed at the data centre nearest the end user |
|
Google Workspace (Google Ireland Ltd) |
Business email, document storage and collaboration |
European Union, United States |
|
Stripe, Inc. |
Payment processing and billing |
United States, Ireland |
|
HubSpot, Inc. |
Customer relationship management |
United States, European Union |
|
Klaviyo, Inc. |
Customer messaging and email delivery |
United States |
|
PostHog, Inc. |
Product analytics |
United States, European Union |
|
OpenAI, L.L.C. |
AI model inference for Services features |
United States |
|
Anthropic PBC |
AI model inference for Services features |
United States |
|
Google LLC (Gemini / Vertex AI) |
AI model inference for Services features |
United States, European Union |
|
Reality Analytics, Inc. |
Group Affiliate - product development, customer support and administration |
United States |
2. Notes
Hetzner Online GmbH provides dedicated bare-metal servers and data centre facilities. Realytics does not grant Hetzner access to Customer Personal Data and Hetzner does not Process Customer Personal Data on Realytics' behalf; it is listed for transparency as a provider of hosting infrastructure.
Meta Platforms, TikTok, LinkedIn and Google Ads are used by Realytics for its own marketing and advertising activities, in which Realytics acts as a Controller. They do not Process Customer Personal Data and are therefore not Sub-Processors under the DPA.
Realytics does not permit the Sub-Processors listed above that provide AI model inference to use Customer Personal Data to train their own models, and contracts with them on terms that exclude such use.
3. Notice and Objection
Customers may subscribe to Sub-Processor change notices by contacting .
Customers may object to a new Sub-Processor on reasonable grounds relating to data protection within the notice period stated in the DPA.