Version: 1.0
Last Updated: 2026-05-29
This document lists the Sub-processors authorized by Mobile Worker Systems Sweden AB (“Company”) to Process Personal Data on behalf of Customers in connection with the Line Inspector Service.
This list is incorporated by reference into the Data Processing Agreement (“DPA”) and may be updated from time to time as described in the DPA.
Sub-processors Process Personal Data only on the Company’s documented instructions and in accordance with applicable data protection laws.
Vendor processing locations, data categories, transfer mechanisms, and DPA links are based on vendor documentation, account settings, and signed vendor terms. Exact cloud regions are handled as an internal operational/configuration matter unless a specific region is expressly published or agreed with a Customer.
Where relevant, Sub-processors may provide remote support or maintenance from other locations, subject to appropriate safeguards as described in the Data Processing Agreement.
The Company selects Sub-processors based on their ability to provide appropriate technical and organizational measures and requires them to protect Personal Data in accordance with applicable data protection laws.
| Sub-Processor | Purpose | Categories of Personal Data | Processing Location | DPA / Legal Reference |
|---|---|---|---|---|
| Microsoft Azure | Application and admin-portal hosting; file storage; background processing | Customer Data | EU/EEA | Microsoft DPA |
| Amazon Web Services | Object/file storage (photos, documents, PDFs) | Images and files; generated reports | EU/EEA | AWS GDPR |
| Supabase | Database, authentication, and API | Customer Data; authentication data | EU/EEA (runs on AWS infrastructure) | Supabase DPA |
| PowerSync | Offline data sync between database and apps | Customer Data | EU/EEA | PowerSync DPA |
| Trigger.dev | Background jobs (exports, file/PDF generation, map processing) | Customer Data | EU/EEA | Trigger.dev DPA |
| Cloudflare | Page hosting, CDN, and web application firewall | Request metadata; IP addresses; device identifiers | EU/EEA edge; vendor in the United States | Cloudflare Customer DPA |
| PostHog | Product analytics | User/device identifiers; usage events | EU/EEA (PostHog EU cloud) | PostHog DPA |
| Maptiler | Geocoding | IP address; location coordinates | EU/EEA (Switzerland) | Maptiler Privacy |
| Google Maps Platform | Routing and geocoding | IP address; location coordinates | United States | Google Maps Platform GDPR |
| Sentry | Mobile app error and crash reporting | Device identifiers; diagnostics; incidental Personal Data | EU/EEA | Sentry DPA |
| Raygun | Web portal error tracking | IP address; device identifiers; incidental Personal Data | United States | Raygun GDPR |
| BugFender | Mobile app logging | Device identifiers; logs; incidental Personal Data | EU/EEA | BugFender DPA |
| Postmark | Transactional email delivery | Email addresses; email content | United States | Postmark DPA |
| CloudConvert | PDF/file conversion | File content; Personal Data in generated reports | EU/EEA | CloudConvert Security |
Customer Data is hosted with the cloud infrastructure providers identified above, primarily in regions located in the EU/EEA. The Service is currently operated in the EU/EEA; additional regions may be used in the future as identified in this list.
Certain Sub-processors listed above (in particular those located in or operated from the United States) Process limited categories of Personal Data outside the EU/EEA.
Such Processing is limited to what is necessary for the specific service provided and subject to contractual safeguards.
For these restricted transfers, the Company relies on appropriate safeguards and supplementary measures as described in Data Processing Agreement Section 13.
The Company assesses such transfers on an ongoing basis and implements supplementary technical and organizational measures where necessary to ensure an appropriate level of protection for Personal Data.
The Company will provide notice of any intended new Sub-processor by emailing Customer’s account administrator or other notice contact and by updating this list, in each case at least fourteen (14) days before the new Sub-processor begins Processing Customer Data, except in the urgent-replacement circumstances described in the DPA. Customer objections and remedies are handled as described in the DPA.
The updated Sub-processor list will be made available to Customers through this document.
For questions about our Sub-processors, contact: info@lineinspector.com