Content Removal
You can file a Content Removal request here: ā”ļø https://intelx.io/abuse
Who Can Submit a Request
No Anonymous Requests
We do not accept anonymous requests for content removal. All requests must be submitted by identifiable individuals, and if requested, sufficient proof of identity must be provided to verify ownership of the personal data.
Repeated Requests
If the requests submitted are manifestly unfounded or repeated, the data controller may charge a reasonable fee for their processing or refuse to process the request.
Why is the data not redacted after reporting?
Most likely it is. Your web browser caches websites including the content of search results.
Due to the way our system is designed, you will still see the list of search results when searching for the reported selector. This is by design. The data, however, has been redacted.
What does redaction mean?
Redaction, in this context, means that any personal data falling under the protection of the EU General Data Protection Regulation (GDPR) has been removed or masked in accordance with privacy requirements (e.g. the data has been anonymized).
Legal Basis
1ļøā£ Our Privacy Policy
2ļøā£ If you are an EU data subject, we may consider it pursuant to Article 15 of the Regulation (EU) 2016/679 (General Data Protection Regulation, hereinafter as āGDPRā).
The Data Controller does not have an obligation to comply with the request under all circumstances. Authoritative interpretation of the GDPR requires an individual assessment of each case of data subject rights. We may not comply with the request in cases where there is no reason for data erasure under Article 17 (1) GDPR or in cases where exceptions under Article 17 (3) GDPR apply. The exceptions apply in for instance cases where the data is necessary for exercising the right of freedom of expression and information, we need to process them for the purposes of compliance with our legal obligations or the processing is necessary for the establishment, exercise or defence of legal claims.
Information about the rights of European Union (EU) data subjects
The controller shall provide the data subject with information on the action taken on the request pursuant to Articles 15 to 22 of the GDPR, without undue delay, no later than one month from the receipt of the request. In exceptional cases (taking into account complexity and number of requests), the period may be extended by two further months. In cases the period is extended, the data subject will be notified of such extension no later than one month from the receipt of the request.
The information referred to in Articles 12 and 13 and the communications and acts referred to in Articles 15 to 22 and 34 of the GDPR shall be provided and carried out free of charge.
To ensure the security and privacy of all parties involved, it is our policy that such requests must be submitted directly from the email address of the person or entity whose details are the subject of the request.
If you are the individual or represent the entity in question, please send your requests from the appropriate email address or provide proof of your legal authorisation to represent the entity.