Local sources. Local languages. Your time zone.
Teams in five regions rely on us for local-language, multi-currency data, collected with each market’s privacy rules in mind and supported during their working hours.
Five regions, one standard.
Middle East & GCC
Gulf consumers shop across marketplaces, quick-commerce apps and social storefronts that publish in two languages and six currencies. We collect, normalise and validate that data so pricing, category and investment teams see one consistent view of the region. Projects are scoped against the UAE and Saudi PDPLs and the other GCC data protection regimes from the outset.
Arabic, English
AED · SAR · QAR · KWD · BHD · OMR
UAE Federal Decree-Law 45/2021 (PDPL); Saudi PDPL; Qatar Law No. 13 of 2016; Kuwait DPPR, Bahrain PDPL, Oman PDPL
Quick commerce and grocery, Consumer electronics, Real estate and proptech, Travel and hospitality, Automotive, Food delivery and restaurants
Our project managers work hours that overlap with both the Sunday–Thursday week in Saudi Arabia, Qatar, Kuwait, Bahrain and Oman and the Monday–Friday week in the UAE, across GST (UTC+4) and AST (UTC+3).
Asia-Pacific
Singapore, India, Malaysia, Indonesia and Australia sit close together on the map but differ in almost everything else: languages, platforms, price levels and privacy rules. We collect and normalise web data across all five so regional teams can compare like for like. Each project is scoped against the local data protection law of every country it covers.
English, Hindi, Malay, Bahasa Indonesia, Mandarin Chinese, Tamil
SGD · INR · MYR · IDR · AUD
Singapore PDPA; India DPDP Act, 2023; Malaysia PDPA 2010; Indonesia PDP Law 27/2022; Australia Privacy Act 1988
Ecommerce marketplaces, Quick commerce and grocery, Food delivery, Real estate and rentals, Travel and hospitality, Jobs and recruitment
Support hours overlap with IST (UTC+5:30), SGT and MYT (UTC+8) and WIB (UTC+7), with morning coverage for Australian eastern time (UTC+10 or UTC+11 in summer).
North America
The United States and Canada combine large national retailers with regional chains, state and provincial price differences and, in Canada, bilingual listings. We collect and structure this data at the level where decisions are made, often store, ZIP or postal code. Projects are scoped against CCPA/CPRA, other state privacy laws and PIPEDA.
English, French, Spanish
USD · CAD
US: CCPA/CPRA and state privacy laws; Canada PIPEDA
Retail and ecommerce, Grocery and consumer goods, Real estate, Automotive, Jobs and recruitment, Finance and alternative data
Support hours overlap with the US and Canadian working day on Eastern time (UTC−5, UTC−4 in summer), with afternoon coverage reaching Pacific time.
Latin America
Brazil, Mexico, Colombia and Chile are fast-moving digital markets where the headline price is only part of the offer. Instalment plans, shipping fees and regional marketplaces all shape what shoppers actually pay. We capture these details in Portuguese and Spanish and scope every project against the local data protection law.
Portuguese, Spanish
BRL · MXN · COP · CLP
Brazil LGPD; Mexico LFPDPPP; Colombia Law 1581 of 2012; Chile Law 19.628
Ecommerce marketplaces, Grocery and consumer goods, Real estate, Jobs and recruitment, Travel and hospitality, Financial services
Support hours overlap with São Paulo (UTC−3), Santiago (UTC−4 or UTC−3 in summer), Bogotá (UTC−5) and Mexico City (UTC−6).
Europe & UK
European retail, property and travel markets are mature, multilingual and tightly regulated. We collect web data across the UK, Germany, France, the Netherlands and Spain in the local language and normalise it into one schema. Every project is scoped against the EU GDPR or UK GDPR and the relevant national authority.
English, German, French, Dutch, Spanish
GBP · EUR
UK GDPR and DPA 2018; EU GDPR
Grocery and retail, Consumer electronics, Real estate and rentals, Travel and hospitality, Automotive, Energy and utilities
Support hours cover the UK working day (GMT or BST) and Central European Time (UTC+1, UTC+2 in summer), Monday to Friday.
Global data is only useful when it is locally right.
Local languages and scripts
Arabic, Hindi, Malay, Bahasa, Portuguese, Spanish and European languages captured as published, with right-to-left text preserved.
Multi-currency normalisation
Prices captured in AED, SAR, SGD, INR, BRL, EUR and more, with VAT and FX handled consistently for comparison.
Local sources
Regional marketplaces, delivery apps and portals that global tools often miss.
Local compliance
Each project is scoped against the privacy framework of every market it touches.
Privacy rules, scoped before we build.
| Region | Framework | How we handle it |
|---|---|---|
| Middle East & GCC | UAE Federal Decree-Law 45/2021 (PDPL) | We collect publicly available business and product data and exclude personal data unless a documented lawful basis exists. Where personal fields are unavoidable, they are minimised or masked before delivery. |
| Saudi PDPL | Projects touching the Kingdom are reviewed against the PDPL and its implementing regulations, including the restrictions on transferring personal data outside Saudi Arabia. Our default is to keep deliveries free of personal data. | |
| Qatar Law No. 13 of 2016 | We scope Qatari sources so that no individual's personal data is processed without a clear purpose and legal basis. Seller and listing data is captured at business level. | |
| Kuwait DPPR, Bahrain PDPL, Oman PDPL | Each of the three regimes is checked at scoping for sources based in Kuwait, Bahrain or Oman. Datasets are designed to hold commercial information only, with personal data minimised by default. | |
| Asia-Pacific | Singapore PDPA | We exclude personal data from Singapore collections by default and capture business-level listings only. Any exception is documented against a purpose and basis before work begins. |
| India DPDP Act, 2023 | Indian projects are scoped against the Digital Personal Data Protection Act and the DPDP Rules notified in November 2025. We exclude personal data by default and deliver product, price and business-level data. | |
| Malaysia PDPA 2010 | Malaysian projects are scoped against the PDPA and its 2024 amendments. Datasets are designed around products, prices and businesses rather than individuals. | |
| Indonesia PDP Law 27/2022 | The PDP Law has applied in full since October 2024. We review Indonesian sources against it and remove or mask personal fields before delivery. | |
| Australia Privacy Act 1988 | We check Australian projects against the Australian Privacy Principles and the recent amendments to the Act. Collection is limited to publicly available commercial information. | |
| North America | US: CCPA/CPRA and state privacy laws | We review US projects against the CCPA as amended by the CPRA and the growing set of comprehensive state privacy laws. Collection focuses on products, prices and businesses, and personal data is excluded by default. |
| Canada PIPEDA | Canadian sources are scoped against PIPEDA and, for Quebec, Law 25. Deliveries are designed to hold commercial information only. | |
| Latin America | Brazil LGPD | Brazilian projects are scoped against the LGPD and guidance from the ANPD. We keep deliveries to commercial data and exclude personal data by default. |
| Mexico LFPDPPP | We review Mexican sources against the federal law on personal data held by private parties, including the new version enacted in 2025. Collection focuses on products, prices and listings. | |
| Colombia Law 1581 of 2012 | Colombian projects are checked against Law 1581 and the supervisory role of the SIC. Personal fields are removed or masked before delivery. | |
| Chile Law 19.628 | We scope Chilean projects against Law 19.628 and track the 2024 reform, which creates a dedicated data protection agency. Datasets are built around commercial information only. | |
| Europe & UK | UK GDPR and DPA 2018 | UK projects are scoped against the UK GDPR, the Data Protection Act 2018 and ICO guidance. We collect publicly available commercial data and keep personal data out of deliveries by default. |
| EU GDPR | For EU sources we apply GDPR principles of purpose limitation and data minimisation at scoping, and take account of national rules and authorities such as the BfDI, CNIL, AP and AEPD. Personal fields are excluded or masked unless a documented basis exists. |
This summary is for information only and is not legal advice.
