Japan Privacy Notice

Collection of Reports. For the information requirements of Article 32 of the Japanese Act on the Protection of Personal Information (APPI), the Teradyne Management Team will be informed according to this Privacy Policy, and other internal policies (if applicable). The information in Section 10 “Reporting System and Contact Details” of this Privacy Policy applies to Data Subjects in Japan for submitting any complaints or requests concerning Data Subject rights.

Joint Use and Cross-Border Transfer. Teradyne may share Personal Data within the Teradyne Affiliates without obtaining the Data Subject’s consent for the purpose of the legitimate interests mentioned in Section 3 and Section 4 of this Privacy Policy as applicable. Teradyne may share Personal Data described in Section 4 “The types of and purpose for the collection of Personal Data” of this Privacy Policy for the purpose described in the same section.

Teradyne is responsible for managing the shared data. Specific rules apply for cross-border transfers of Personal Data to third parties outside of Japan (if applicable), as for the EU/EEA countries, mentioned in Section 5 of this Privacy Policy, which in practice are established by, e.g., entering the European Commission’s Standard Contractual Clauses (“EU SCCs”), or Joint Data Controller Agreements (“JDCAs”) or Data Processing Agreements (“DPAs”), or by collecting consent from the Data Subject (where applicable).