Effective Date: October 26, 2025 | Last Reviewed: April 26, 2026
NextWave Automation ("NextWave," "we," "us," or "our") is committed to protecting the privacy and security of personal information in all aspects of our operations. This Privacy Policy ("Policy") explains how we collect, use, disclose, retain, and safeguard personal information in compliance with the Personal Information Protection and Electronic Documents Act, S.C. 2000, c. 5 ("PIPEDA"), Canada's Anti-Spam Legislation, S.C. 2010, c. 23 ("CASL"), and all other applicable federal and provincial privacy and communications statutes.
By accessing our website at nextwaveautomation.ca or using any of our services (collectively, the "Services"), you acknowledge that you have read, understood, and agreed to the collection and handling of personal information as described in this Policy.
For purposes of this Policy, the following terms have the meanings set out below:
This Policy applies to:
This Policy does not govern the employment or HR practices of NextWave Automation, which are subject to separate internal policies and applicable employment legislation.
NextWave Automation has designated a Privacy Officer who is responsible for overseeing our compliance with PIPEDA, CASL, and this Policy. The Privacy Officer is the first point of contact for all privacy-related inquiries, access requests, correction requests, and complaints.
Privacy Officer – NextWave Automation
PO Box 127, Cambridge, Ontario N1R 5S9 Canada
Email: [email protected]
Website: nextwaveautomation.ca
We collect only the personal information that is necessary to fulfill the identified purposes set out in this Policy. We may collect the following categories of information:
We do not knowingly collect sensitive personal information — such as social insurance numbers, health information, or financial account credentials — unless expressly required for a specific purpose and specifically consented to by the individual.
We use personal information only for the purposes identified at or before the time of collection, which include:
We do not sell, rent, trade, or otherwise disclose personal information to third parties for their own marketing purposes under any circumstances.
We obtain express consent where required by applicable law, including for the sending of commercial electronic messages under CASL, for the collection of sensitive personal information, or where a reasonable individual would expect it to be obtained.
We may rely on implied consent where it is reasonable to infer that consent is given from the circumstances of the interaction — for example, when an End User voluntarily initiates contact through a chat widget or automated phone system. For AI-powered voice agents that receive inbound calls from End Users, NextWave Automation and its Clients rely on the End User's act of initiating or continuing the call as implied consent to automated interaction and, where applicable, call recording, subject to applicable telecommunications and privacy legislation. Clients remain solely responsible for ensuring that their use of outbound automated calling complies with express consent requirements under CASL and the Unsolicited Telecommunications Rules established under the Telecommunications Act, R.S.C. 1993, c. 38.
Clients who deploy our automated systems are solely responsible for: (a) obtaining all necessary consents from their End Users prior to collecting and processing personal information through our Services; and (b) informing their End Users that automated technologies, including AI-powered voice and chat systems, may be used to collect, process, and store personal information on their behalf.
Individuals may withdraw consent to the collection, use, or disclosure of their personal information at any time by submitting a written request to [email protected]. Withdrawal of consent may affect our ability to provide certain Services. We will advise affected individuals of the implications prior to processing any withdrawal request.
NextWave Automation fully complies with Canada's Anti-Spam Legislation (CASL). Commercial electronic messages — including promotional emails and SMS communications — are sent only to recipients from whom we have obtained express or implied consent as defined under CASL. Each commercial electronic message sent by NextWave Automation includes: (a) clear identification of NextWave Automation as the sender; (b) accurate contact information; and (c) a functioning unsubscribe mechanism.
If you submit your telephone number through our website contact form, chat widget, or any other interface, your number may be used to respond to your inquiry and provide customer care communications via SMS. Message frequency varies based on the nature of your inquiry. Standard message and data rates may apply. You may opt out of SMS communications at any time by replying STOP to any message received from us. For assistance, reply HELP. Unsubscribe requests will be honoured within ten (10) business days of receipt, in compliance with CASL requirements. We do not share, sell, or disclose telephone numbers to third parties for marketing or any other purpose.
We do not disclose personal information except in the following circumstances:
We do not disclose personal information for any purpose other than those identified in this Policy without prior consent from the affected individual or as otherwise permitted by law.
Personal information collected through our Services may be transferred to, stored in, and processed in jurisdictions outside of Canada, including the United States, where certain third-party service providers maintain their infrastructure. When personal information is transferred outside Canada, it becomes subject to the laws of the receiving jurisdiction, including lawful access by foreign governments or courts.
We take reasonable contractual steps to ensure that service providers in other jurisdictions maintain privacy and security safeguards comparable to those required under PIPEDA. By using our Services or providing personal information to us, you acknowledge and consent to the transfer of your information outside of Canada as described herein. Clients and End Users located in the United States should be aware that their personal information may be subject to applicable U.S. federal and state privacy laws, including the California Consumer Privacy Act (Cal. Civ. Code § 1798.100 et seq.) where applicable. NextWave Automation will update this Policy as required to reflect obligations arising under applicable U.S. state privacy legislation as its operations expand into U.S. markets.
We implement administrative, technical, and physical safeguards appropriate to the sensitivity of the personal information we hold. These measures include, but are not limited to:
While we take reasonable and industry-standard steps to protect personal information against unauthorized access, disclosure, copying, use, or modification, no security system is completely impenetrable. We cannot guarantee the absolute security of information transmitted over the internet and are not liable for unauthorized access, disclosure, or misuse resulting from circumstances beyond our reasonable control.
In the event of a breach of security safeguards involving personal information that gives rise to a real risk of significant harm to one or more individuals, NextWave Automation will, as required by PIPEDA and the Breach of Security Safeguards Regulations, SOR/2018-64:
Personal information is retained only for as long as necessary to fulfill the purposes described in this Policy, to maintain business and financial records, or as required by applicable law or contractual obligation. Upon expiry of the applicable retention period, personal information is securely destroyed, deleted, or anonymized in a manner appropriate to the sensitivity of the information.
General retention guidelines are as follows:
Individuals may submit a written request for the earlier deletion or anonymization of their personal information to [email protected]. Such requests will be considered in accordance with PIPEDA, including any applicable legal exceptions.
Subject to applicable legal exceptions, individuals have the following rights with respect to their personal information held by NextWave Automation:
Requests must be submitted in writing to [email protected]. We will acknowledge receipt and respond substantively within thirty (30) days, as required by PIPEDA. Where an extension is required due to the volume or complexity of the request, we will provide written notice of the extension and the reason within the initial thirty-day period, in accordance with applicable law.
We reserve the right to decline access requests in whole or in part where permitted by law — for example, where compliance would reveal confidential commercial information, information about other identifiable individuals, or information subject to solicitor-client privilege. Where a request is declined, we will provide written reasons for the refusal and inform the requester of their right to seek a review by the Office of the Privacy Commissioner of Canada.
We take reasonable steps to ensure that personal information is accurate, complete, and current as required for the purposes for which it is used. Clients and individuals are encouraged to promptly notify us of any changes to their personal information to ensure that our records remain accurate. Correction requests will be handled in accordance with Section 14 above.
NextWave Automation provides AI-powered tools that process personal information through automated systems, including voice agents and chatbots, to respond to inquiries, capture lead information, and facilitate business communications on behalf of Clients. These systems do not make legally significant or consequential decisions about individuals without human review. The outputs of our automated systems — including call transcripts, chat responses, and captured lead data — are provided to Clients for their review and use. NextWave Automation does not independently use automated processing to evaluate, profile, or make decisions about End Users for any purpose beyond the delivery of the Services. Clients are solely responsible for ensuring that their use of automated outputs complies with all applicable laws and does not result in unlawful automated decision-making affecting their End Users.
Our website may use cookies, web beacons, pixel tags, and similar tracking technologies to enhance user experience, analyze site performance, and support service delivery. Cookies used on our website may include:
We do not use cookies to build advertising profiles, track users across third-party websites, or sell data to advertisers or third parties.
Users may configure their browser settings to refuse or delete cookies at any time; however, disabling certain cookies may affect the functionality of portions of our website. Where consent is required for the use of non-essential cookies under applicable law, NextWave Automation will implement a cookie consent mechanism on its website to obtain such consent prior to deploying non-essential cookies.
Our website may contain links to third-party websites or services that are not owned or controlled by NextWave Automation. This Policy does not govern the privacy practices of those third parties, and we are not responsible for their content, privacy policies, or practices. We encourage all users to review the privacy policies of any third-party websites they access before submitting personal information.
Our Services are designed exclusively for use by businesses and their authorized adult representatives. We do not knowingly collect personal information from individuals under the age of sixteen (16). If we become aware that personal information has been inadvertently collected from a minor, we will take prompt steps to delete such information from our records. If you have reason to believe that a minor has provided personal information to us, please contact us immediately at [email protected].
When NextWave Automation processes personal information on behalf of a Client, we act in the capacity of a service provider or data processor — not as the principal collector or controller of that information. In such circumstances:
Clients are independently responsible for their compliance with PIPEDA, CASL, and all other applicable privacy and communications legislation in connection with their deployment and use of our Services.
We reserve the right to update or amend this Policy from time to time to reflect changes in our business practices, the Services we offer, or applicable laws and regulations. Any updates will be posted on our website at nextwaveautomation.ca with a revised "Last Reviewed" date. Where changes are material, we will take reasonable steps to provide prior notice, which may include posting a prominent notice on our website or sending a direct communication to affected Clients. Continued use of our Services following the posting of any amendments constitutes your acceptance of the revised Policy.
We are committed to resolving all privacy concerns promptly and fairly. If you have a complaint regarding our handling of your personal information, please contact our Privacy Officer in the first instance using the contact information in Section 4 above. We will acknowledge your complaint within five (5) business days and respond substantively within thirty (30) days.
If your complaint is not resolved to your satisfaction after engaging with our Privacy Officer, you have the right to escalate your complaint to the Office of the Privacy Commissioner of Canada:
Office of the Privacy Commissioner of Canada
30 Victoria Street, Gatineau, Quebec K1A 1H3
Toll-free: 1-800-282-1376
Website: www.priv.gc.ca
For all privacy inquiries, access requests, correction requests, or to exercise any rights described in this Policy, please contact:
NextWave Automation — Privacy Officer
PO Box 127, Cambridge, Ontario N1R 5S9 Canada
Email: [email protected]
Website: nextwaveautomation.ca
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