Website operator & data controller
Vladimír Kříž
- Registered business address
- Premonstrátů 1236, 253 03 Chýně
- Business ID (IČO)
- 01407121
- Registration
- Zapsán v živnostenském rejstříku.
- VAT ID
- CZ9207294338
- Contact & privacy requests
- vladimir.kriz.cz@gmail.com
Railway Corporation
Role: website hosting. Company country: United States. The web services were deployed in the Amsterdam region when checked on 7 September 2026. This marketing project does not yet have a signup database service.
Operation includes technical visit information. Once a database is activated, hosting would also process form details. Railway uses further providers and describes processing outside the EEA.
Gmail
Service: ordinary free Gmail for inquiries and personal replies. Processing includes contact details, messages, attachments and mail metadata. This is not a company Google Workspace account or a website integration with a mailing service.
Google does not provide a DPA for consumer Gmail and states that it does not act as a data processor for this service. Workspace terms cannot be assumed to apply. Legal suitability and actual account settings have not yet been verified; we do not claim data stays exclusively in the EEA.
Email delivery
No provider is connected for automated address confirmation or email delivery. Before one is used, its identity, purpose, data, retention and international transfer arrangements need to be added. This website does not claim that confirmation emails already work.
Data processing agreements
Execution of a Railway DPA for the actual operator has not yet been verified. The published terms require the agreement to be completed and submitted through DocuSign and executed with Railway. A link to this page is not a signed agreement.
Contractual and information duties already apply to the current website’s hosting and visitor data. They cannot be deferred until the interest list opens. The applicable agreements must be agreed and in force for the processing.
Future customer data and DPA
The operator is the controller for the interest list. In future processing of employee data for a customer, the operator may act as processor and the customer as controller. The actual processing determines those roles; the agreement must reflect them accurately.
The applicable customer DPA must be agreed and in force before real personal data is processed in the product. It must cover instructions, data categories, security, subprocessors, assistance with rights requests and incidents, audit, and data return or deletion. A draft agreement is not enough. No completed customer DPA is offered for acceptance here.
