International privacy annex
China: PIPL/CAC, en-CN and planned zh-Hans version
China privacy annex covering PIPL/CAC, supplier enquiries, English information for in-house counsel, documents and Russian disputes.
Status: Draft; public Chinese-language enquiry forms remain blocked pending legal and language approval
This annex outlines data-processing requirements and relevant sources; it is not a final legal opinion. Legal, privacy and language reviews remain pending, and existing launch restrictions still apply.
Who this covers
Chinese suppliers, trading companies, in-house counsel, compliance teams and Russian importers
Data that may be involved
- business contact details, company, role and country or region
- document type, receipt date, deadline and a description of the issue
- a contract, invoice or route summary without public file uploads
- meeting details for Zoom and Telegram reminders
Launch safeguards
- the zh-Hans page remains blocked pending legal and language approval
- enquiries from China must not depend solely on access to Telegram or YouTube
- no default marketing pixels or YouTube embeds on China pages before PIPL and provider approval
- the purpose, overseas recipient, data categories, rights and withdrawal method are disclosed before submission
Service-provider approval
China-facing enquiry forms, LinkedIn retargeting and customer-list uploads require a PIPL/CAC transfer assessment and an approved service-provider and cookie map.
Language-version status
en-CN pages may be published after legal approval; zh-Hans remains an unpublished draft pending approval.
Deployment verification required
Verification covers external requests before consent on China pages, supported by screenshots, HAR network records and the privacy-annex URL.