RampedUp uses data from publicly available sources including social media, job posting, career sites, corporate websites, and press releases. We provide the source data on our contact records when available. RampedUp uses information made publicly available by the individual or by their company on their behalf.
As a registered Data Broker, RampedUp is required to provide a portal for subjects who would like to be removed from our database. If a subject would like to be removed from our database, he or she may notify us via our privacy portal: https://basic.rampedup.io/app/donotsell. Once we receive a request, we remove the subject's data and add their contact RUID to our Opt-Out list. RampedUp makes the data we have removed from Opt Out requests publicly available by RUID, https://rampedup.io/opt-out-list, to protect the identity of the data subjects.
The most recent list can be downloaded here.
RampedUp and the CCPA
On June 28, 2018, California signed into law the California Consumer Privacy Act (CCPA) of 2018, which grants California residents new rights regarding the collection and disclosure of information about them. RampedUp maintains active data broker registrations in all U.S. states where registration is currently required, including California:
- California Data Broker Registration Number: 538248
- Oregon Data Broker Registration Number: 00344
- Texas Data Broker Registration Number: 20250186
- Vermont Data Broker Registration Number: 0409326
RampedUp and the GDPR
As of 01/03/2020, RampedUp complies with the EU-U.S. Data Privacy Framework (EU-U.S. DPF) and the UK Extension to the EU-U.S. DPF, and the Swiss-U.S. Data Privacy Framework (Swiss-U.S. DPF) as set forth by the U.S. Department of Commerce. RampedUp has certified to the U.S. Department of Commerce that it adheres to the Swiss-U.S. Data Privacy Framework Principles (Swiss-U.S. DPF Principles) with regard to the processing of personal data received from Switzerland in reliance on the Swiss-U.S. DPF. RampedUp can be found listed as an active participant on the website: https://www.dataprivacyframework.gov/list.
Our most recent Impact Assessment found that RampedUp’s legitimate interests are not overridden by the risks to individuals’ rights and freedoms, given the professional context and safeguards. Our data is publicly available and therefore subjects would have a reasonable expectation of its use.
RampedUp's Data Processing Addendum sets out how we handle personal data when providing its services to Subscribers. It clarifies two roles: (1) for RampedUp Data (RampedUp’s global B2B contact and company data), RampedUp and the Subscriber act as independent Controllers; and (2) for Subscriber Personal Data (data that the Subscriber uploads or sends for enrichment, appending, or other processing), the Subscriber is the Controller/Business and RampedUp acts as a Processor/Service Provider.
The DPA outlines how RampedUp aligns with GDPR, CCPA, and other privacy laws while clearly allocating responsibilities between RampedUp and the Subscriber for compliance, security, and individual privacy rights.
For more information - visit our Privacy Policy Page.
