Roles
For customer and restaurant data, TablePlay generally acts as a processor on behalf of the business customer. For its own administration and security, TablePlay may act as an independent data controller.
This text is a translation of the Dutch version. In case of any difference between the translation and the Dutch original, the Dutch version prevails. This agreement is governed by Dutch law.
For customer and restaurant data, TablePlay generally acts as a processor on behalf of the business customer. For its own administration and security, TablePlay may act as an independent data controller.
We use technical and organisational measures such as access control, session security, logging and separated customer access.
TablePlay may use suppliers such as hosting, database, email and payment providers. These suppliers are used to deliver the service.
When a customer receives a privacy request affecting TablePlay data, we reasonably assist with export, correction or deletion.
TablePlay by Jimani Jimani B.V. Albert Plesmanweg 122, 4462 GC Goes KvK 91644453 - Btw NL865722729B01 support@tableplay.online
Version 1.0 Last updated: 10 July 2026
Legal review note This document has been prepared for business use by TablePlay. Have the final publication, international application, current suppliers, technical arrangements and country-specific rules periodically reviewed by legal counsel.
Table of Contents Part A - Processing Agreement Annex 1 - Sub-processors Annex 2 - Technical and organisational measures Part B - Security and Coordinated Vulnerability Disclosure Part C - Accessibility Statement
Processing Agreement and Security Policy TablePlay
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Part A - Processing Agreement Article 1 - Parties This Processing Agreement applies between the business customer of TablePlay as Controller and Jimani B.V., trading under the name TablePlay by Jimani, Albert Plesmanweg 122, 4462 GC Goes, KvK 91644453, as Processor. The parties are jointly referred to as the Parties.
Article 2 - Applicability and formation This agreement applies insofar as TablePlay processes personal data on the instructions and on behalf of the Customer and forms an integral part of the principal agreement. It comes into existence through electronic acceptance, signature or actual use of the Service. For processing for which TablePlay independently determines the purposes and means, TablePlay is the controller and the Privacy Statement applies. In the event of a conflict regarding processing on behalf of the Customer, this Processing Agreement shall prevail over the General Terms and Conditions.
Article 3 - Subject matter, duration and nature TablePlay processes personal data for restaurant-related game, table, QR, score, leaderboard, dashboard and support functionalities. The processing lasts for the duration of the principal agreement and a limited period thereafter for deletion, return, back-up rotation, statutory obligations and legal defence. The processing may include collecting, recording, organising, structuring, storing, consulting, calculating, combining within the restaurant context, displaying, transmitting, restricting, deleting and anonymising.
Article 4 - Purposes • Linking QR codes to restaurant and table. • Starting and conducting game sessions. • Processing temporary nicknames, game choices, answers, scores and results. • Facilitating table-versus-table games and temporary leaderboards. • Displaying restaurant-related statistics. • Preventing duplicate, fraudulent or technically invalid sessions. • Technical support, security, continuity and recovery. • Deleting or anonymising after retention periods.
Article 5 - Categories of data subjects • Guests and players of the Customer. • Contact persons, users, employees and auxiliary persons of the Customer. • Persons named in a support request.
Article 6 - Categories of personal data • Temporary nickname, table number or unique table ID and restaurant or location ID. • Game session ID, chosen game, play mode, answers, actions, score, result and ranking. • Date, time and temporary language setting. • Technical session, IP, browser and device data insofar as present in security logs.
Processing Agreement and Security Policy TablePlay
Page 3 of 10 • Name and business email address of a contact person and content of support requests. • Other data entered within the agreed functionality. TablePlay is not intended for special categories, criminal, medical or biometric data or extensive directly identifiable guest profiles. The Customer shall not instruct such processing without a prior written agreement.
Article 7 - Documented instructions The principal agreement, this Processing Agreement, customer portal settings and lawful support requests constitute instructions. TablePlay does not process data for other purposes, except for statutory obligations, its own security and legal defence purposes or processing after adequate anonymisation. In the event of a suspected unlawful instruction, TablePlay shall inform the Customer, unless this is legally prohibited, and may suspend performance. Additional extensive instructions may be invoiced separately.
Article 8 - Obligations of the Customer The Customer is responsible for lawfulness, valid legal basis, information to Guests, lawful instructions, data minimisation, internal security and protection of login credentials. The Customer is responsible for accuracy and quality, does not require real names from Guests and does not use Game Data for individual marketing or profiling without an independent legal basis. Security Incidents and unlawful instructions shall be reported without delay.
Article 9 - Confidentiality Persons under the authority of TablePlay are granted access only to the extent necessary, are bound by confidentiality and process data only in accordance with instructions. This obligation shall remain in force after termination. Disclosure to third parties shall only take place on the basis of this agreement, the principal agreement or the law.
Article 10 - Security TablePlay shall implement appropriate technical and organisational measures, taking into account the state of the art, costs, nature, scope, context, purpose and risk. The measures are set out in Annex 2 and may be adapted provided that the general level of protection is not materially reduced. No system can guarantee absolute security.
Article 11 - Data Breaches TablePlay shall inform the Customer without undue delay after becoming aware of a breach of personal data processed on behalf of the Customer. Where possible, information shall be provided regarding the nature, systems, categories of data and data subjects, consequences, measures and contact information. Information may be provided in stages. TablePlay shall investigate, contain, retain relevant evidence and carry out remediation. The Customer shall assess the statutory notification obligation and TablePlay shall provide reasonable support. A notification does not constitute an acknowledgement of liability. Work performed due to circumstances under the responsibility of the Customer may be carried out at reasonable cost.
Article 12 - Requests from Data Subjects Direct requests concerning the Customer's role shall in principle be forwarded. TablePlay shall only respond independently on instruction, in its own role, or where required by law. TablePlay shall provide reasonable support with respect to access, correction, erasure, restriction, portability and objection.
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Because Guests do not have an Account, identification may be limited. Restaurant, table, date, time, nickname and game context may be required. Data shall not be provided if it is not sufficiently established that it relates to the requester.
Article 13 - Support with Compliance TablePlay shall provide reasonable support with respect to security, data breach assessments, data protection impact assessments, prior consultation and necessary documentation. Extensive support beyond the standard service may be invoiced, unless it results from a failure on the part of TablePlay.
Article 14 - Sub-processors The Customer grants general authorisation for the sub-processors listed in Annex 1. TablePlay may add, replace or remove such sub-processors and shall maintain an up-to-date electronic list. In the event of a new material sub-processor, TablePlay shall in principle provide notice thirty days in advance. The Customer may, within that period, raise a reasoned objection on specific data protection grounds. The parties shall seek additional safeguards, limitation or a technical alternative. If no reasonable solution exists, the Customer may terminate the directly affected part prior to deployment. TablePlay shall impose substantially equivalent obligations and shall remain responsible to the extent provided by the GDPR.
Article 15 - International Transfers Personal data shall, where possible, be processed within a European region. Sub-processors or group companies may be established outside the EEA or have access from outside the EEA. Where required, TablePlay shall use adequacy decisions, standard contractual clauses, additional measures or other valid mechanisms. Upon reasonable request, information shall be provided subject to confidentiality.
Article 16 - Requests from Authorities TablePlay shall only provide data to competent authorities pursuant to a lawful obligation. Where permitted, the Customer shall be informed in advance. TablePlay shall assess authority, scope and legal validity and shall limit disclosure where possible.
Article 17 - Audits and Information TablePlay makes reasonable information available, including security documentation, audits, certifications, questionnaires or assurance statements. If this is insufficient, the Customer may request an audit a maximum of once per calendar year with thirty days' notice, during office hours, by an independent expert bound by confidentiality obligations, without damage to security, confidentiality or other customers. The Customer bears the costs unless a material attributable breach is established. TablePlay may withhold source code, other customer data, vulnerability details and commercially sensitive information where a sufficient alternative exists.
Article 18 - Return and Deletion After termination, TablePlay shall delete or return, at the Customer's choice and insofar as technically and legally possible, data that is processed solely on behalf of the Customer. The choice must be communicated no later than within thirty days. In the absence of a choice, TablePlay may delete or anonymise in accordance with the standard policy. Backups may contain data for a maximum of one month and are used exclusively for recovery purposes.
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Legally required, legally protected and anonymised data need not be deleted.
Article 19 - Liability The liability provisions of the General Terms and Conditions shall also apply. Each party is responsible for its own privacy obligations. The Customer shall indemnify TablePlay against claims arising from unlawful instructions, absence of a legal basis, insufficient information, unlawful use of Game Data or entry of prohibited sensitive data, insofar as permitted by law.
Article 20 - Term and Termination This Data Processing Agreement shall end when TablePlay no longer processes personal data on behalf of the Customer. Confidentiality, security, deletion, liability and audits shall remain in effect insofar as their nature so requires.
Article 21 - Governing Law and Disputes This Data Processing Agreement shall be governed by Dutch law. Disputes shall be dealt with in accordance with the General Terms and Conditions.
Appendix 1 - Sub-processors Supplier
Service
Possible Data
Region / Role
Supabase
Database, authentication, storage and backend Accounts, table data, nicknames, sessions, scores Primary and logs EU region insofar as set; core sub-processor
Vercel
Hosting, runtime, content delivery and IP address, logging request, browser, device and application data EEA and possibly USA; hosting sub-processor
Twilio SendGrid
Transactional and operational email Name, email address, account information, content and International; email delivery statusemail sub-processor
OpenAI / other AI supplier Only when AI features are activated
Limited data necessary for the function Dependent on configuration; potential sub-processor
Stripe
Business data, invoices, transactions and payment status International; role varies per processing
Payments, invoicing and fraud
Google / Meta / LinkedIn Analytics and marketing following consent Website, device, advertising and conversion data International; generally not a sub-processor for re
The current list is made available via the website or the customer portal. In the event of a material new sub-processor, the notification and objection procedure from Article 14 shall apply. TablePlay does not provide identifiable guest data to an AI supplier for general model training, unless this is expressly, lawfully and transparently arranged otherwise at a later time.
Appendix 2 - Technical and Organisational Measures 1. Access Security • Unique user accounts and secure authentication. • Hashed passwords and restriction of administrative rights. • Access based on role and necessity. • Revocation of access when no longer required. • Additional authentication measures where appropriate.
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Page 6 of 10 • Supabase Row Level Security where technically applicable. • Restriction of access to data of other Customers. • Unique table identifiers.
3. Transport and Storage • HTTPS and TLS secured connections. • Secure communication between browser, application, backend and APIs. • Storage with selected cloud providers. • Restricted employee access and contractual confidentiality. • No storage of passwords in directly readable form.
4. Availability, Logging and Recovery • Backups and recovery provisions where appropriate. • Monitoring of technical errors and relevant login attempts. • Detection and investigation of anomalous use. • Backups, in principle, for a maximum of one month. • Logs, in principle, for a maximum of one year, unless longer retention is required for an incident or dispute.
5. Secure Development and Vendor Management • Version control, code review and controlled deployment where appropriate. • Restriction of secrets and keys in source code. • Timely updates of relevant components. • Review and remediation of reported vulnerabilities. • Selection of professional vendors, contractual arrangements and transfer mechanisms.
6. Data Minimisation and Incident Management • No mandatory real names, email or phone number for Guests. • Temporary nicknames and limited leaderboard visibility. • Deletion or anonymisation after retention periods. • Internal escalation process, investigation, registration, notification obligation assessment and remediation measures.
Part B - Security and Coordinated Vulnerability Disclosure 1. Purpose and Reporting Address TablePlay attaches importance to the security of the website, Platform, infrastructure and data. Potential technical vulnerabilities can be reported confidentially via support@tableplay.online with the subject line Security Report - confidential.
2. Content of a Report • Clear description of the vulnerability. • Domain, endpoint, screen or system involved.
Data Processing Agreement and Security Policy TablePlay
Page 7 of 10 • Reproducible steps and potential impact. • Limited screenshots or technical evidence. • Browser, device or environment used. • Contact details and, if applicable, a proposal for secure communication.
3. Permitted Actions • Only actions necessary to establish the existence of the vulnerability. • Keep impact and data access as limited as possible. • Do not modify, delete or download any third-party data. • Do not affect availability and stop as soon as sufficient evidence exists. • Investigate only systems demonstrably under the control of TablePlay.
4. Prohibited Actions • Social engineering, phishing, physical attacks, brute force and credential stuffing. • Account takeovers, denial-of-service, malware or persistent access. • Modifying, erasing, copying or disclosing data. • Actual manipulation of payments, invoices, coupons or scores. • Investigation of external vendors without their consent. • Burdensome automated scans. • Disclosure before reasonable investigation and remediation time has been provided. • Extortion or coercing payment through threats.
5. Response and Disclosure TablePlay endeavours to acknowledge receipt within five working days, to assess the report, to ask questions where necessary, to inform the reporter in general terms and to mitigate a verified vulnerability as soon as reasonably possible. The remediation time depends on severity, complexity, vendors and necessary testing. TablePlay does not guarantee a fixed timeframe. Details will not be disclosed until TablePlay agrees, a reasonable date has been agreed, or at least ninety days have elapsed without a reasonable substantive response or remediation attempt. Personal data, authentication data and exploit code will not be published.
6. No General Bug Bounty and Legal Approach TablePlay does not operate a general bug bounty programme and a report does not entitle the reporter to payment, engagement or publicity. TablePlay may grant recognition at its own discretion. As a rule, TablePlay will not take legal action against a researcher who acts in good faith, within this policy, without causing damage, confidentially and without extortion. This commitment does not apply in the case of clearly criminal, harmful, fraudulent or disproportionate actions and does not bind third parties or authorities.
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7. security.txt TablePlay may publish a technical file at /.well-known/security.txt containing the reporting address, policy link, languages, expiry date and, where applicable, an encryption key. This file must be periodically checked and renewed.
Part C - Accessibility Statement 1. Ambition and Reference Framework TablePlay endeavours to make the website, registration, customer portal and guest games usable for a broad group of users, including persons with visual, auditory, motor or cognitive impairments. Where reasonably possible, the principles of WCAG 2.2 level AA are used as a technical and substantive reference framework. This does not constitute a guarantee that every component is fully compliant under all circumstances.
2. Current Status The complete environment has not yet been independently and comprehensively audited. TablePlay therefore does not currently claim full formal WCAG 2.2 AA conformity. Possible limitations concern real-time game components, time pressure, drag-and-drop, animations, external payment or authentication pages, translations, older colour displays and touch-oriented functions.
3. Measures • Semantic HTML and usable labels where appropriate. • Keyboard operability of essential functions and visible focus. • Sufficient contrast and scalable text. • Alternative texts for informative images. • No essential information conveyed solely through colour. • Understandable error messages and consistent navigation. • Clear buttons and links. • Support for common browsers and screen sizes. • Limitation of unnecessary animation. • Understandable language in the guest environment. • Automated and manual testing where possible.
4. Games and time pressure Some games are, by their nature, time-bound. Where technically and content-wise possible, TablePlay may offer alternative play modes, extended time limits, less movement, visual alternatives to sound and text or symbols in addition to colour. Not every game mode is equally suitable for every user. Restaurants are encouraged to offer multiple types of games.
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5. Responsibility of the business Client The Client remains responsible for the physical and operational accessibility of the Location, including the placement of QR codes, legibility of printed materials, alternative assistance, accessibility of screens, support by staff and own content. QR codes are placed within reach and visibly, and where reasonably possible an alternative is offered to Guests who cannot scan independently.
6. Reporting and alternative access Accessibility issues can be reported via support@tableplay.online, stating the page or game, device, browser, assistive technology, description and desired solution. TablePlay aims to provide acknowledgement of receipt within five working days and a substantive response within a reasonable period. Where possible, information may be provided by email, support, an alternative instruction, manual processing or another game option.
7. Disproportionate burden and improvement An adjustment may be postponed when it is technically not feasible, materially compromises security, changes the fundamental nature of a game, is dependent on an external supplier, or constitutes a disproportionate organisational or financial burden. TablePlay will then assess an alternative. TablePlay may take accessibility into account in design, testing, prioritisation, user feedback and external audits and update this statement accordingly.
8. Contact TablePlay by Jimani - Jimani B.V. - Albert Plesmanweg 122 - 4462 GC Goes - The Netherlands - Company Registration No. 91644453 - VAT No. NL865722729B01 - support@tableplay.online.
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Supplementary Sub-processor List This sub-processor list forms part of the Processor Agreement and Security Policy of TablePlay. The current list may change when suppliers, regions or functions change.
Supplier: Supabase Service: database, authentication, storage and backend. Possible data: accounts, table data, nicknames, sessions, scores and logs. Region / role: primarily EU region insofar as configured; core sub-processor.
Supplier: Vercel Service: hosting, runtime, content delivery and logging. Possible data: IP address, request, browser, device and application data. Region / role: EEA and possibly USA; hosting sub-processor.
Supplier: Twilio SendGrid Service: transactional and operational email. Possible data: name, email address, account information, content and delivery status. Region / role: international; email sub-processor.
Supplier: OpenAI / other AI supplier Service: only in the case of activated AI functions. Possible data: limited data necessary for the function. Region / role: dependent on configuration; potential sub-processor. TablePlay does not provide identifiable guest data to an AI supplier for general model training, unless this is later expressly, lawfully and transparently arranged otherwise.
Supplier: Stripe Service: payments, invoicing and fraud. Possible data: business data, invoices, transactions and payment status. Region / role: international; role differs per processing activity.
Supplier: Google / Meta / LinkedIn Service: analytics and marketing following consent. Possible data: website, device, advertising and conversion data. Region / role: international; generally not a sub-processor for restaurant game data.