- The deal: weekly allowances per tier (numbers by reference to the live plans page, not frozen in the ToS); allowances reset Monday your time; unused allowance expires — stated as design, not fine print. 2 free regenerations per item, then 1 credit.
- Trial: 7 days, Standard allowances, no card, one per person (the hash, §2). Ends into a free resting state: library and profile kept, generation paused.
- Acceptable use: no impersonation of real people; no content violating platform rules you post to; boundaries filters aren't a challenge to defeat; we can refuse generations that break law or the no-faces rule.
- Your content & our service: you own outputs; you're responsible for what you publish; we warrant the service, not LinkedIn's reaction to any post.
- Testimonials & client information: The Article 28 processor terms for this activity are set out in the Data Processing Annex (§7), which business customers adopt by accepting these terms.
- AI honesty clause: generated content can be wrong; review before posting — the product is a coach, not a guarantee.
- Billing: monthly or annual via Stripe; downgrades apply from next Monday; cancellation stops renewal, never claws back the current period; UK VAT via Stripe Tax.
- Changes & termination: 30 days' notice for material changes; export your data any time (JSON of profile + library — build item, route exists in schema scope).
Data Processing Annex (Testimonials)
These are the Article 28 processor terms for testimonials that name your own clients. You adopt them by accepting the Terms of Service above. Not yet in force: the annex is drafted and awaiting signature, so the blanks below are exactly what they look like.
DATA PROCESSING ANNEX
(to be incorporated as a schedule to the Sayvios Terms of Service)
PARTIES
Controller: The business customer of Archema Labs Ltd who accepts the Sayvios Terms of Service and provides testimonials, case studies, or results which identify that customer's own clients (the "Controller").
Processor: Archema Labs Ltd, a company incorporated in Scotland with company number SC879076, whose registered office is in Glasgow, Scotland and is recorded in full on the public register maintained by Companies House under that company number, and whose ICO registration number is ZC161034 (the "Processor").
1. DEFINITIONS AND INTERPRETATION
1.1. "Data Protection Laws" means the UK General Data Protection Regulation (UK GDPR), the Data Protection Act 2018, and any applicable subordinate legislation, as amended from time to time.
1.2. "Personal Data" means any information relating to an identified or identifiable natural person.
1.3. "Testimonials Processing" means the processing of Personal Data contained within testimonials, case studies, or results provided by the Controller which identify the Controller's own clients, solely to the extent that such processing is carried out on behalf of the Controller in the course of providing the Sayvios service.
1.4. "Sub-processor" means any processor engaged by the Processor to carry out processing activities on behalf of the Controller in respect of the Testimonials Processing.
1.5. "Terms of Service" means the Sayvios Terms of Service published by Archema Labs Ltd and accepted by the Controller.
1.6. Terms defined in the UK GDPR shall bear the same meaning in this Annex.
2. SCOPE AND PURPOSE OF PROCESSING
2.1. Subject matter: The processing of Personal Data contained within testimonials provided by the Controller.
2.2. Duration: Commencing on the date the Testimonials Processing first takes place and continuing until the earlier of (a) the deletion or return of all Personal Data processed under this Annex, or (b) termination of the underlying agreement between the Processor and the Controller.
2.3. Nature and purpose: The Processor stores and uses the Personal Data contained in testimonials solely to generate content for the Controller's account and for no other purpose.
2.4. Type of Personal Data: Names, professional or business identifiers, and any other Personal Data voluntarily included by the Controller in a testimonial.
2.5. Categories of Data Subjects: Clients, customers, or other identifiable third parties named by the Controller in testimonials.
2.6. Controller's obligations and rights: The Controller determines the purposes and means of the Testimonials Processing, and the Processor acts only on the Controller's documented instructions as set out in this Annex.
3. PROCESSOR OBLIGATIONS
3.1. Processing on instructions
The Processor shall process Personal Data only on the documented instructions of the Controller. For the avoidance of doubt, the Controller's instructions are:
(a) to store testimonials; (b) to use them solely in the generation of content for the Controller's account; (c) not to contact, profile, or independently use the Personal Data for any other purpose; (d) not to transfer Personal Data to a third country or international organisation unless expressly authorised by the Controller in writing and subject to appropriate safeguards under Article 46 UK GDPR.
3.2. Confidentiality
The Processor shall ensure that all persons authorised to process Personal Data under this Annex have committed themselves to confidentiality, or are under an appropriate statutory obligation of confidentiality, in accordance with Article 28(3)(b) UK GDPR.
3.3. Security measures
The Processor shall implement and maintain appropriate technical and organisational measures to ensure a level of security appropriate to the risk, including those set out in Appendix 1. These measures shall comply with Article 32 UK GDPR.
3.4. Sub-processors
(a) The Processor shall not engage any Sub-processor for the Testimonials Processing without the Controller's prior specific written authorisation. (b) The Processor shall inform the Controller in writing of any intended changes concerning the addition or replacement of Sub-processors, giving the Controller a reasonable opportunity to object to such changes. (c) Where the Processor engages a Sub-processor, it shall impose on that Sub-processor, by way of a written contract, the same data protection obligations as set out in this Annex, in accordance with Article 28(4) UK GDPR. (d) The Processor shall remain fully liable to the Controller for the performance of any Sub-processor's obligations.
3.5. Data subjects' rights
Taking into account the nature of the Testimonials Processing, the Processor shall assist the Controller by appropriate technical and organisational measures, insofar as possible, for the fulfilment of the Controller's obligations to respond to requests from data subjects exercising their rights under Chapter III of the UK GDPR.
3.6. Assistance to the Controller
The Processor shall assist the Controller in ensuring compliance with the obligations pursuant to Articles 32 to 36 UK GDPR, taking into account the nature of the Testimonials Processing and the information available to the Processor.
3.7. Breach notification
The Processor shall notify the Controller without undue delay after becoming aware of a Personal Data breach affecting the Testimonials Processing.
3.8. End-of-contract provisions
At the Controller's choice, the Processor shall delete or return all Personal Data to the Controller after the end of the provision of services relating to the Testimonials Processing, and shall delete existing copies unless domestic law requires storage of the Personal Data.
3.9. Audits and inspections
The Processor shall make available to the Controller all information necessary to demonstrate compliance with the obligations set out in this Annex, and shall allow for and contribute to audits, including inspections, conducted by the Controller or another auditor mandated by the Controller.
3.10. Immediate notification of infringing instructions
The Processor shall immediately inform the Controller if, in the Processor's opinion, an instruction infringes the UK GDPR or other domestic law relating to data protection.
4. INDEMNITY
The Processor shall indemnify the Controller against all losses, claims, damages, liabilities, costs, and expenses (including reasonable legal fees) arising from:
(a) any breach by the Processor of this Annex; or (b) any processing by the Processor of Personal Data outside the Controller's documented instructions.
5. GOVERNING LAW AND JURISDICTION
This Annex shall be governed by and construed in accordance with the law of Scotland. The parties hereby submit to the exclusive jurisdiction of the Scottish courts.
SIGNED for and on behalf of Archema Labs Ltd (as Processor):
Signature: ________________________
Name: Suj Munir
Title: Founder
Date: ________________________
APPENDIX 1: SECURITY MEASURES
- Access controls: Personal Data is accessible only to personnel with a legitimate business need, on a role-based access basis.
- Encryption: Personal Data is encrypted at rest using industry-standard encryption (AES-256) and in transit using TLS 1.2 or higher.
- Audit logging: All access to Personal Data is logged and auditable.
- Data minimisation: Only the minimum Personal Data necessary for the Testimonials Processing is stored.
- Account isolation: Personal Data from one Controller is not accessible to, or used for, any other Controller.
FOOTNOTE – REGISTERED OFFICE ADDRESS:
For the avoidance of doubt, the registered office of Archema Labs Ltd (SC879076) is in Glasgow, Scotland. The full address is a matter of public record and is available from Companies House under company number SC879076, which is the authoritative source; it is identified here by reference rather than reproduced, because the registered office is a residential address and this document is published on a public web page.
Service of any notice under this Annex may be made to that registered office as recorded at Companies House at the time of service, or by email to the address given in the Sayvios Terms of Service.