For non-EU FinTech businesses serving the EU/EEA

Check whether you need an EU GDPR representative.

FinTech DPO helps international FinTech businesses assess Article 27 representative duties, prepare a public privacy.ly contact route, and scope DPO support separately when needed.

Most useful before launch, partner diligence, enterprise procurement, or publishing EU/EEA privacy contact details.

Use this for

A practical GDPR coverage check before EU/EEA launch or diligence.

What you get

Representative assessment, public contact wording, privacy.ly mailbox setup, and DPO support only when the facts justify it.

What this is not

Not generic policy copy, not a legal certificate, and not a promise that every company needs both services.

Fit check

Who should contact us.

The point is to decide quickly whether there is a real representative or DPO question, not to turn every visitor into a project.

Likely relevant

Contact us when

  • Your company is established outside the EU/EEA and offers a product or service to people or counterparties in the EU/EEA.
  • Your team uses personal data in connection with that EU/EEA activity and needs to understand the contact-point obligation.
  • A customer, partner, investor, or authority is asking for GDPR representative, DPO, or privacy contact details.
Probably not relevant

Skip this when

  • You are not offering services to, or monitoring the behavior of, people in the EU/EEA.
  • You already have an appointed EU/EEA representative and only need generic website policy copy.
  • You need regulated product advice, licensing, litigation support, tax structuring, or a one-size-fits-all compliance certificate.

Scope

Two scopes, kept deliberately separate.

We keep the first engagement narrow: confirm the obligation, prepare the public contact setup, and keep the representative and DPO roles cleanly separated.

01

EU GDPR Representative

For non-EU controllers or processors when Article 27 applies.

  • Applicability check and appointment route
  • Public representative wording
  • privacy.ly mailbox and request routing
02

External DPO Support

Independent privacy support when a DPO is required or commercially useful.

  • DPO requirement assessment
  • Independent advice and contact language
  • Diligence support and escalation rules

Process

The first reply should already reduce uncertainty.

No giant policy binder at the door. The first reply should help you understand the likely path, missing facts, and whether a representative or DPO setup is worth scoping.

  1. Triage Company location, EU/EEA activity, role, and data context.
  2. Role map Representative mandate, DPO question, and public contact language.
  3. Setup kit Appointment route, mailbox setup, wording, and request record.
  4. Ongoing desk Clear channel for data-subject and supervisory-authority messages.

Send these first

A useful first email is five lines.

  • Company location
  • EU/EEA activity
  • Your role, if known
  • Personal data context
  • What triggered the request
Start with this template

Contact

Ask for a coverage check.

Send the five lines above. We will reply with whether the representative path looks relevant, whether DPO support should be scoped, and what would be needed before publishing contact details.

support@fintech.ee
Financial Technology OÜ Narva mnt 5, Tallinn 10117, Estonia Registry code 14703656

Website privacy

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Full privacy notice

Read the separate privacy notice for controller details, legal bases, recipients, transfers, retention, rights, and complaint route.

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