Drivee is a SaaS fleet-management service operated by 3GMUSE LTD
(the “Company,” “we,” “us”). We respect your privacy and act in accordance with applicable law,
including the Protection of Privacy Law and its regulations.
For customer employee details (name, phone number, role) and telematics/location data if enabled,
we act as the “Holder/Processor” on behalf of the customer, and the customer is the “Database Owner.”
Use is made according to the customer’s instructions and under a Data Processing Agreement (DPA).
Types of Data We Process
Account details: name, phone number, role, and permissions of authorized users.
Employee details: name, phone number, role (for internal documentation only).
Fleet and operational data: vehicle details, maintenance, tickets, regulatory documents.
Telematics/location data (if enabled): GPS data, events, and alerts.
Technical metadata: IP address, device identifiers, logs, troubleshooting data.
Cookies: for security and user experience; not for behavioral advertising.
Sources of Data
Information entered by customers or their users.
Data synchronized from customer systems (outside our responsibility).
Telematics/location data from the mobile device, if enabled.
Purposes of Use (Data Minimization Principle)
Operating and providing the service: fleet management, maintenance, analytics.
Internal documentation for the customer only.
Information security, fraud prevention, and logging.
Compliance with legal requirements and agreements.
We do not sell personal data or use it for unrelated marketing.
Disclosure to Third Parties
No external disclosure of employee data unrelated to the service.
Limited sub-processors for infrastructure and operational needs under DPA.
Disclosure as required by law or competent authority.
Information Security
We implement security measures according to the Privacy Protection Regulations,
including access control, encryption, permissions, log management, and backups.
In case of a security incident, we will act according to law and notify affected customers as required.
Data Retention
Account data retained while active and for a reasonable period after termination.
Employee data retained as long as managed by the customer; deletion upon request.
Technical logs retained for limited time for security and operations.
International Data Transfers
Processing or storage may occur outside Israel. When data is transferred internationally,
appropriate safeguards and agreements are applied in accordance with applicable law.
Data Subject Rights
Subject to applicable law, you may request:
Access to your data;
Correction of inaccurate or incomplete data;
Deletion or restriction of processing (in certain cases);
Removal from non-essential communications (if any).
For requests, contact: eyal@drive-e.io
Note: For employee data originating from customer systems, please contact your employer (the Database Owner) first.
Customer Responsibility as Database Owner
The customer must ensure all legal permissions and notices are obtained before sharing employee data.
The customer defines retention periods, permissions, and settings. We act solely per customer instructions
and applicable law.
Minors
The service is not intended for use by children, and we do not knowingly collect information about minors.
Changes to This Policy
This policy may be updated periodically. The latest version will always appear on this page
with the “Last updated” date. Material changes will take effect after reasonable notice, unless required otherwise by law.