Data Privacy Policy
Contents
In the course of our business, Jumia collects, handles and stores personal data of our customers, employees, sellers, suppliers, contractors and other individuals (“Data Subjects”). This information is a valuable and sensitive asset, that must be managed respectfully, and in accordance with all applicable local and international laws.
This Policy explains how any personal information which we process (or others process on our behalf) must be used in accordance with the law, and for Jumia’s legitimate business purposes only.
This Policy covers:
This Policy applies to all Jumia’s employees; and to Jumia’s sellers, suppliers, contractors and other third parties responsible for processing personal data for or on behalf of Jumia, referred to in this Policy as our “Partners”.
We expect all Partners to maintain our standards of data privacy, as set out in this Policy.
Personal data is any information relating to an identified or identifiable person, including: name; address; date or place of birth; photographs or videos (including CCTV footage); contact details (e.g. telephone number, email, address); national identifiers (e.g. ID numbers); professional status (e.g. job title, employer); location; online identifiers (e.g. IP addresses); and personal preferences (e.g. shopping and browsing habits), among numerous other types of personal data. An identifiable person is one who can be identified, directly or indirectly, in particular by reference to an identification number or to one or more factors specific to his/her physical, mental, economic, cultural or social identity.
Sensitive personal data or special category personal data contains information relating to a person's race or ethnic origin, political opinions, religious or philosophical beliefs, trade union membership, genetic data, biometric data, health and sexual life or orientation.
Jumia adheres to the highest personal data protection standards which require personal data to be processed in accordance with the principles set out below.
Personal data must be processed fairly and lawfully.
Jumia shall only process personal data if so required to comply with applicable laws (e.g. for the purpose of employee tax deductions) or if it has received affirmative consent i.e. the Data Subject must make a positive statement or tick a box by way of consent.
Processing of personal data in reliance on any other legal basis, and without consent of the Data Subject, requires express written approval from the Jumia General Counsel, and is otherwise strictly prohibited.
Processing of sensitive data requires express written approval from the Jumia General Counsel, and is otherwise strictly prohibited.
Personal data must be processed in a transparent manner.
Jumia ensures that Data Subjects are duly informed before they disclose their personal data, by a clear and comprehensive privacy notice.
Personal data must be collected only for specified, explicit and legitimate purposes. Data collected must be adequate, relevant and limited to what is necessary for the identified purpose.
Collecting personal data that the business does not require for a specified purpose exposes Jumia to unnecessary legal risks.
Personal data must be accurate and kept up to date where necessary. Jumia endeavors to maintain the accuracy of our records though:
Data Subjects are entitled to exercise various rights with respect to their own personal data, including but not limited to the following:
Jumia’s Data Subject Rights Handling Guidance sets out processes for managing and responding to Data Subject requests, including mechanisms for communicating with Partners who may hold the relevant personal data in order to execute such responses.
Personal data must not be kept for any longer than is necessary. Jumia requires personal data to be anonymized or destroyed once the purpose for retaining that data, or the relevant time in the Document Retention Policy, has expired.
Personal data must be processed in a manner which ensures its security using appropriate technical and organisational measures to protect against accidental loss, destruction or damage.
Security measures should be proportionate to the level of confidentiality and sensitivity of the personal data.
It is Jumia’s goal to ensure security of personal data by:
Personal data must not be transferred across borders without the appropriate safeguards and consents being in place.
Jumia maintains a record of all personal data transfers and requires you to inform and obtain approval from the Jumia General Counsel in respect of any personal data that is transferred across borders.
Privacy Impact Assessments are a tool which allow you to identify, assess and mitigate privacy risks. They can also help you to design more efficient and effective processes for handling personal data.
Jumia requires a Privacy Impact Assessment to be completed where the activity falls outside Jumia’s existing data map e.g. transferring data to a new supplier or collecting a new category of data.
Jumia maintains a full and accurate data map of all personal data processing activities and data flows, including details of records of Data Subjects consents and the procedures for obtaining consents.
We expect our Partners to maintain detailed data maps in respect of all personal data that they process on behalf of Jumia, and to make this information available to Jumia.
Jumia has in place procedures to deal with any suspected personal data breach and will notify affected individuals and applicable regulators where legally required to do so.
If you know or suspect that a personal data breach has occurred, immediately contact [email protected].
Failure to comply with this Policy is a serious compliance breach.
Non-compliance is a disciplinary matter for employees. If you are a contractor, seller or supplier, it may constitute a breach of your contract with Jumia and we may review, and/or terminate, your assignment with us.
The following documents contain further helpful information on how Jumia manages personal data:
If you are an employee of Jumia and you have any questions about this Policy, or require approval of the General Counsel, please contact the lawyer responsible for your market.
If you are a Partner of Jumia and you have any questions about this Policy or you require any approvals, please contact your Jumia relationship manager.
If you know or suspect that a personal data breach has occurred, immediately contact [email protected].
Adopted 1 April 2020