CASL

Policy Statement

This document sets forth the policy of infob2bconnect and is designed to provide reasonable assurance that (I) a consistent process is followed with respect to the dissemination of commercial electronic messages infob2bconnect and prospective clients in Canada, and (ii)infob2bconnect sending commercial electronic messages from and/or to a computer system(s) in Canada comply with the requirements of CASL.

The infob2bconnect Anti-Spam Policy (“Anti-Spam Policy”) and related procedures (the “CASL Procedures”) require that all infob2bconnect sending CEMs from and/or to a computer system(s) in Canada or to an electronic address that will be accessed from a computer system in Canada comply with CASL, and seeks to ensure that all CEMs sent by or on behalf of  infob2bconnect,or using a infob2bconnect email address or using a device owned or provided by infob2bconnect, comply with CASL.

Policy Details

The Anti-Spam Policy describes infob2bconnect commitments relating to the provisions of CASL and electronic messages of a commercial nature sent infob2bconnect, prospective clients, and others, as applicable. From time to time, infob2bconnect may implement additional policies, procedures and/or practices as it relates to anti-spam measures. 

Application

This Policy applies infob2bconnect who may be sending CEMs from and/or to a computer system(s) in Canada or to an electronic address that will be accessed from a computer system in Canada.

With respect to infob2bconnect operations, the Anti-Spam Policy has been adopted in compliance with the requirements of CASL, and infob2bconnect is committed to complying with CASL. All other infob2bconnect and procedures will be interpreted in a manner that is consistent with the Anti-Spam Policy and that promotes compliance with CASL to seek to deter damaging and deceptive forms of spam from occurring in Canada.

Consent

infob2bconnect obtains express, opt-in consent, unless a verifiable basis for implied consent or an exception to consent exists, before sending a CEM to anyone who has not had an existing business relationship with infob2bconnect within two years before the date on which the CEM is sent. Unless a valid documented basis for implied consent or an exception to consent exists, infob2bconnect also obtains express, opt-in consent for the sending of CEMs toinfob2bconnect prospects.

The request for consent cannot be in an electronic message unless there exists a basis for implied consent to send the message. The request for consent must be sought separately within a communication (e.g. through a separate action such as affirmatively checking a checkbox) and cannot be bundled as a term of acceptance of an agreement. A verbal consent is acceptable where a record of the details of the consent is maintained in a database.

Form and Content of CEMs

All CEMs are required to comply with the form and content requirements of CASL, generally described as follows:

  • identifies the sender;
  • the sender’s mailing address;
  • the sender’s telephone number or email address or link to a webpage; and
  • an unsubscribe mechanism or withdrawal of consent from receiving CEMs from infob2bconnect and its subsidiaries

infob2bconnect takes steps to require that any third-party service provider who sends CEMs on behalf of infob2bconnect complies with CASL.

Storage of Relationship Details

A key component of complying with CASL involves maintaining records of infob2bconnect relationships with clients and prospective clients.

Each business unit of infob2bconnect required to create and maintain in the business unit’s Client Relationship Management (CRM) system (including, but not limited to, Benchmark, Salesforce), verifiable records documenting the relationships giving rise to implied consent, and verifiable records of express, opt-in consents obtained from infob2bconnect and prospective clients. “Clients” are defined as those organizations or individuals who have at least one open account or a contractual relationship with infob2bconnect Sat the relevant time. Organizations or individuals who have closed their last remaining account or terminated their contract with infob2bconnect are not considered infob2bconnect for purposes of this Policy.

Implied consent or express, opt-in consent is obtained in accordance with the CASL Procedures and recorded in the applicable CRM system in order to track the client and prospect relationships.

Records of express, opt-in consent and records documenting the relationships giving rise to implied consent are retained for a minimum of three years after ceases sending CEMs to the infob2bconnect client or prospect.

Commercial Electronic Messages

All infob2bconnect sending CEMs from and/or to a computer system(s) in Canada are required to comply with this Policy and related CASL procedures and processes.

A “CEM” is defined as an electronic message that includes content (for instance, text, hyperlinks, images or attachments) that:

  1. promotes, offers or advertises infob2bconnect or infob2bconnect products or services, or employees, or contacts;
  2. solicits business for infob2bconnect employees or contacts;  and
  3. any other similar message that encourages participation in commercial

Examples include promotional event invitations (e.g., webcasts or infob2bconnect events), marketing newsletters, etc.

The following messages do not have to comply with the requirements applicable to CEMs:

  • messages sent infob2bconnect about their business;
  • internal communications aboutinfob2bconnect business (including communications with infob2bconnect offices outside Canada);
  • legally required notices, such as messages that are sent to comply with a regulatory requirement (e.g., material changes, required account activity information, etc.); and
  • responses to requests, inquiries or

Messages that infob2bconnect email each other internally using a device that infob2bconnect owns or provides, or using an infob2bconnect email address, should be related to. infob2bconnect may not internally email each other offers, promotions, advertisements, or referrals unrelated to infob2bconnect business without the internal recipient’s verbal consent.

Compliance by Third Parties

All third-party contracts with service providers who may send CEMs on behalf of infob2bconnect must contain contractual clauses obligating the service provider to comply with CASL including the form and content requirements of CEMs.

Unsubscribe Mechanism

CEMs that are not exempt from requirements applicable to CEMs noted above are required to include a form of unsubscribe mechanism to facilitate the withdrawal of consent or do-not-contact requests within a period of time and in a manner that would allow infob2bconnect to process that request within 10 days of the date on which the unsubscribe, withdrawal of consent or do-not-contact request was made. This information should be maintained in the applicable database that tracks the client and prospect relationships.

All emails sent by infob2bconnect Pvt. Ltd. employees will be compliant with CASL and will include the option to ‘unsubscribe.’

You can ‘unsubscribe’ from our Commercial Electronic Messages at any time by visiting https://infob2bconnect.com/unsubscribe or by emailing do@infob2bconnect.com with ‘Unsubscribe’ in the subject line.

Policy Administration

The Anti-Spam Policy is maintained by the Compliance department of each XpertLync legal entity and will be reviewed and updated, where necessary, and approved on an annual basis. Any changes to, or exceptions from this Policy require the approval of the respective XpertLync Board or equivalent.

Review and Approvals

XpertLync Compliance is responsible for review and revision of this Policy, subject to approval of the respective XpertLync Board or equivalent. This Policy is subject to review on an annual basis, or otherwise as needed.

Enforcement and Audit

Compliance with this Policy, and any related procedure, may be reviewed by XpertLync at any time. Failure to comply with this Policy, as well as any associated procedures, may result in disciplinary action in accordance with the applicable Global Human Resources Disciplinary policy or procedure.