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2026 Industrial Ecommerce & Digital Selling Benchmark Report
The Data Protection Impact Assessment is a process designed to identify risks arising out of processing personal data. Its goal is to minimize these risks as far as and as early as possible.
DPIA is a risk assessment that should be carried-out by the data controller where processing of operations are likely to result in a high risk to the rights and freedoms of natural persons. It should evaluate, in particular, the origin, nature and severity of that risk. The outcome of the assessment should be considered when determining the appropriate measures to be taken in order to demonstrate that the processing of personal data complies with the GDPR. One shall consult the supervisory authority prior to processing where the DPIA shows that the processing would result in a high risk in the absence of measures taken by the controller to mitigate the risk. Whereas DPIAs are the responsibility of the controller, Zoovu has prepared this document to assist its clients in meeting their compliance obligations regarding the implementation of ZOE.
The project involves the implementation of Zoe AI-Powered Assistant on the data controller's (Client’s) e-commerce platform. Zoe, provided by Zoovu, is an AI-driven digital assistant that helps end-users (shoppers) find suitable products. This is achieved by:
The processing involves collecting and analysing end-user interaction data and their responses to deliver this personalized shopping experience. Zoovu acts as a data processor on behalf of the controller.
Zoe functions as an AI shopping advisor, designed to interpret complex technical specifications and transform them into clear, customer-friendly descriptions and explanations. By contextualizing product details in everyday language, it ensures that end-users can easily understand how a product aligns with their specific needs and preferences.
For example, when a customer is considering a digital camera, Zoe uses specifications such as “24.2MP APS-C CMOS sensor, ISO 100–25,600, 4K UHD 30fps” and interprets them in plain language. For instance:
Zoe offers the following administrative capabilities to the Clients:
Along with Zoovu Platform, it offers the following additional administrative capabilities:
Zoe collects zero-party data, such as customer needs, preferences and usage context. It may also gather interaction behavior like selected answers and engagement paths, helping the controller to understand the intent behind each purchase. In particular, the following categories of personal data are processed:
The “Zoe Conversation” functionality allows end users to provide free-text input. While Zoovu does not design or configure Zoe to request personally identifiable information or personal data (“PII”), end users may nevertheless disclose such data voluntarily in their responses. In such cases:
The aggregated usage data described above is processed by Zoovu only where the Client has lawfully obtained the necessary end-user consent through its own consent management platform (“CMP”) and via the use of a first-party cookie. Zoovu provides technical configuration options that enable Clients to integrate their CMP and ensure compliance with applicable global data protection and e-privacy regulations. IP addresses of end-users and other users’ data related to their devices through which they access the service are used for breach prevention and analysis mechanisms (anti-DDOS protection etc.) Special category data: Zoe does not process special categories of data (as defined in Article 9 of the GDPR) by default.
Zoe only uses data in the Zoovu Data Platform and the rules the controller set for it to interact with customers.
Storage: data is stored in a secure cloud environment (Microsoft Azure) within the European Union.
This will depend on the traffic to the controller's website, but the service is designed for processing on a large scale, potentially involving thousands or millions of end-users. Processing occurs for each user session that interacts with the assistant.
Where enabled on the basis of valid end-user consent, the first-party cookie may persist on the end user’s browser for up to three hundred sixty-five (365) days. Such cookie will not be created absent consent, and its lifespan is limited to the stated duration, subject to earlier deletion upon withdrawal of consent or user action.
Zoovu stores conversation transcripts as part of its reporting and analytics services (“Insights”) made available to Clients and for the limited purpose of retraining and refining Zoovu’s models to improve future performance of the Service. All conversation data is processed in an anonymous manner and cannot be attributed to any identified or identifiable individual. Conversations are used solely to provide Clients with aggregated insights and reporting and to enhance Zoovu’s technology; they are never shared with third parties other than sub-processors or used for unrelated purposes. Each conversation is assigned a unique session key, which is linked only to a server-side session on Zoovu’s systems and is not connected to any user identifier. In accordance with Zoovu’s internal policy and data protection commitments, Zoovu does not engage in browser fingerprinting, identity stitching, or other techniques intended to re-identify end users. Conversation transcripts are retained by Zoovu for the duration of the contractual relationship with the relevant Client. Where expressly agreed with the Client, Zoovu may also use such data to train and enhance its AI systems. In such cases, the training data set forms part of Zoovu’s proprietary models and is not deleted upon contract termination, but remains in anonymized form within the AI training corpus.
The service is offered globally. This DPIA specifically considers processing activities that fall under the territorial scope of the GDPR and UK GDPR.
Zoovu, as the processor, has no direct relationship with the end-users. The relationship is between the end-user and the controller (the e-commerce business). End-users would reasonably expect a product recommendation tool to use their stated preferences to suggest products. Whereas they may not be specifically aware of Zoovu's role as a processor, the GDPR and UK GDPR only require controllers to disclose categories of recipients, without the need for providing specific details.
The use of AI and profiling in e-commerce is a subject of public and regulatory scrutiny. Concerns often focus on the potential for "dark patterns," algorithmic bias and the lack of explainability in AI systems. This DPIA acknowledges these concerns and incorporates measures to address them.
To enhance the end-user's shopping experience by making product discovery easier, faster and more accurate. For the controller, the goal is to increase sales, customer satisfaction and reduce product returns.
As the provider of the service, Zoovu has developed the Zoe assistant in consultation with its internal teams, including:
Controllers implementing the service should consult with their own DPO and relevant stakeholders.
As a processor, it is not feasible for Zoovu to directly consult with the controller's end-users. The controller may consider it beneficial to seek user feedback on the assistant's functionality and transparency through methods like user testing, surveys or feedback forms. The intuitive nature of the service (answering questions to get recommendations) aligns with general user expectations for such tools, making formal consultation on the processing itself less critical, provided full transparency is ensured in the privacy notice.
It is important that the processing will not go beyond what is reasonably necessary to achieve a specified purpose, as well as using the data for limited purposes.
This determination is the responsibility of the data controller. The likely lawful basis is Legitimate Interest (Art. 6(1)(f) GDPR). The controller has a legitimate interest in providing an effective and user-friendly shopping experience on their website to promote and sell their products. The end-user, in turn, benefits from a tool that helps them find what they are looking for.
If using this basis, the controller must conduct a Legitimate Interests Assessment (LIA) to balance their interests against the rights and freedoms of the data subject. The processing is proportionate as it is limited to providing recommendations based on data actively provided by the user for that specific purpose.
Alternatively, controllers may choose Consent (Art. 6(1)(a) GDPR), particularly if the data collected is intended for subsequent marketing personalisation.
Yes, the processing is directly necessary to achieve the purpose of providing personalized product recommendations. While users could use traditional filters and search bars, these methods are often less effective and intuitive for complex product catalogs, making the AI assistant a more proportionate and efficient solution.
Function creep is prevented through:
The controller is responsible for sharing the following in their privacy notice:
As a processor, Zoovu ensures compliance of its own sub-processors through:
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