1. Group entities
Alsvior Global operates through three legal entities. Each is separately registered, separately regulated, and acts as the data controller for visitors located in its region (see our Privacy Policy).
1.1 United Kingdom
- Legal entity: Alsvior Global Limited
- Legal form: private limited company, registered in England and Wales
- Companies House number: 13689323
- VAT registration: GB412134549
- Registered office: Churchill House, 31 Banbury Road, Ettington, Warwickshire, CV37 7SN, United Kingdom
1.2 Spain
- Razón social: Alsvior Global - Spain, S.L.
- Forma jurídica: sociedad de responsabilidad limitada (S.L.)
- CIF: B10971539
- NIF / IVA intracomunitario: ESB10971539
- Domicilio social: Carrer Romaguera 16, Sant Quirze del Vallès, 08192, España
1.3 Portugal
- Denominação social: Alsvior Global - Portugal, Lda.
- Forma jurídica: sociedade por quotas (Lda.)
- NIPC: 517254832
- IVA intracomunitário: PT517254832
- Sede: Rua do Engenheiro Ferreira Dias, n.º 924, 3.º R, 347, Ramalde, Porto, 4100-246, Portugal
1.4 EU Article 27 representative
Alsvior Global Limited (UK) has appointed Alsvior Global - Spain, S.L. (Carrer Romaguera 16, Sant Quirze del Vallès, 08192, España) as its representative for the European Union under Article 27 of the EU GDPR.
1.5 Group contact addresses
- General: info@alsviorglobal.com
- Privacy / data protection: privacy@alsviorglobal.com
- Data Protection Officer: dpo@alsviorglobal.com
- Security / responsible disclosure: security@alsviorglobal.com
- Accessibility: accessibility@alsviorglobal.com
These details are also reproduced in our Privacy Policy and Terms of Service, and are kept current in line with section 1202 of the UK Companies Act 2006 and the equivalent transparency requirements of the e-Commerce Directive in Spain (Ley 34/2002, art. 10) and Portugal (Decreto-Lei 7/2004, art. 10).
2. Office locations
We operate from the following offices. Each office is a full-service practice and is not mapped to a single discipline; every office can scope, lead and deliver any of the Alsvior Global capability areas (Cyber Security, AI, Data & Analytics, and PPM). The registered offices listed in section 1 are the legal addresses for service of notices.
- London, United Kingdom — Full-service practice — Cyber Security, AI, Data & Analytics and PPM (uk@alsviorglobal.com)
- Barcelona, Spain — Full-service practice — Cyber Security, AI, Data & Analytics and PPM (sp@alsviorglobal.com)
- Porto, Portugal — Full-service practice — Cyber Security, AI, Data & Analytics and PPM (pt@alsviorglobal.com)
- Lisbon, Portugal — Full-service practice — Cyber Security, AI, Data & Analytics and PPM (pt@alsviorglobal.com)
3. Regulated and professional activities
Alsvior Global provides management consulting, technology advisory and managed-services in cyber security, artificial intelligence, data and analytics, and project / programme / portfolio management (PPM). These activities are not, in themselves, regulated financial services and we do not provide investment advice within the meaning of the UK Financial Services and Markets Act 2000 or the EU Markets in Financial Instruments Directive (2014/65/EU).
Where we work with clients in regulated sectors (financial services, public sector, healthcare, critical infrastructure), we operate under each client’s regulatory framework and the specific contractual controls of that engagement, including but not limited to:
- The UK Network and Information Systems Regulations 2018 and the EU NIS2 Directive (2022/2555), as transposed in Spain (Real Decreto-ley 7/2022) and Portugal (Decreto-Lei 65/2021 / NIS2 transposition in progress).
- The EU Digital Operational Resilience Act (Regulation 2022/2554) for financial-services clients.
- The EU Artificial Intelligence Act (Regulation 2024/1689) where AI systems we help build fall within scope.
- The UK Bribery Act 2010, the Spanish Ley Orgánica 10/1995 (Código Penal, arts. 286 bis and 419 ff.), the Portuguese Lei 20/2008 anti-corruption regime, and the EU Whistleblowing Directive (2019/1937) as transposed in each member state.
4. Partner and trade-mark notices
We are an independent professional services firm. We collaborate with a number of technology providers but are not affiliated with, endorsed by, or acting as agent for any of them unless explicitly stated. References to third-party products and brands are nominative use to identify the relevant ecosystem.
- Microsoft and the Microsoft logo are trademarks of Microsoft Corporation. References to specific products (Microsoft 365, Azure, Microsoft Sentinel, Microsoft Defender, Microsoft Copilot, Microsoft Purview, etc.) are property of their owners.
- Atlassian, Jira, Confluence and Rovo are trademarks of Atlassian Pty Ltd.
- OnePlan is a trademark of OnePlan, LLC.
- Other product names and logos are trademarks or registered trademarks of their respective owners.
Where the website features client logos, those marks are used with permission or under fair use to identify projects we have delivered; any use should not be interpreted as endorsement by the client unless stated.
5. Content and reliance
Editorial content on the website (including thought-leadership, statistics and case examples) reflects our views at the date of publication and is not professional advice for any specific situation. Where statistics are taken from third-party studies, sources are cited on the relevant page or available on request from info@alsviorglobal.com.
6. Responsible disclosure
If you believe you have found a security vulnerability affecting this website or any service we operate, please email security@alsviorglobal.com with the details. We commit to:
- Acknowledging your report within 5 business days.
- Investigating and providing a remediation timeline within 30 days where practicable.
- Not taking legal action against good-faith researchers who follow this policy and do not access, modify or destroy data beyond what is strictly necessary to demonstrate the issue.
This responsible-disclosure approach is consistent with the EU Cyber Resilience Act, NIS2 incident-handling expectations, and ENISA coordinated-vulnerability-disclosure guidance.
7. Modern slavery and human-rights statement
Although our turnover is below the section 54 threshold of the UK Modern Slavery Act 2015, the Alsvior Global group voluntarily commits to:
- Treating modern slavery, forced labour, child labour and human trafficking as a zero-tolerance issue across our operations and supply chain.
- Performing reasonable due diligence on suppliers and partners, including their public statements and credible third-party reports.
- Making clear to our team and contractors that any concern can be raised confidentially via ethics@alsviorglobal.com without fear of retaliation, in line with the EU Whistleblowing Directive (2019/1937) as transposed in Spain (Ley 2/2023) and Portugal (Lei 93/2021).
8. Anti-bribery, sanctions and tax compliance
We comply with the UK Bribery Act 2010, the Spanish Código Penal anti-corruption provisions, the Portuguese Lei 20/2008 regime, the EU anti-corruption framework, and applicable sanctions regimes including those administered by the UK Office of Financial Sanctions Implementation (OFSI), the EU and the United Nations. We do not facilitate tax evasion and have procedures designed to comply with the UK Criminal Finances Act 2017 and the equivalent Spanish and Portuguese tax-evasion-prevention frameworks.
9. Accessibility
We design and build this website to be perceivable, operable, understandable and robust, targeting Web Content Accessibility Guidelines (WCAG) 2.2 Level AA — the standard expected under the EU Web Accessibility Directive (2016/2102) for public-sector bodies, and recognised as best practice for private-sector sites under the EU European Accessibility Act (Directive (EU) 2019/882) which has applied since 28 June 2025 and is transposed in Spain (Real Decreto Legislativo 1/2023 and related regulations) and Portugal (Decreto-Lei 82/2022).
Known issues are tracked internally and resolved on a continuous basis. If you have an accessibility concern, please contact accessibility@alsviorglobal.com and we will respond within 10 business days. UK users may also escalate unresolved complaints to the Equality Advisory and Support Service. Spanish users may escalate to the Oficina de Atención a la Discapacidad (OADIS) or the AEPD where personal data is involved. Portuguese users may escalate to the Instituto Nacional para a Reabilitação (INR) or to ARCOM where applicable.
10. Digital Services Act notices
This website is a static, informational site without user-generated content, so most provisions of the EU Digital Services Act (Regulation 2022/2065) do not apply. Where the DSA does apply (for example, the general transparency expectation in Article 24), we publish:
- A single point of contact for users and authorities at privacy@alsviorglobal.com.
- Confirmation that we do not run advertising or recommender systems on this website, and that we do not target advertising based on profiling within the meaning of the UK / EU GDPR.
11. AI Act and AI ethics statement
Our website does not use AI systems to make decisions about visitors. Where we deploy or build AI systems for clients, we operate under the risk-based framework of the EU Artificial Intelligence Act (Regulation (EU) 2024/1689), the OECD AI Principles, and the UK government’s pro-innovation principles for AI regulation. We document data provenance, model purpose, evaluation methods and human-oversight controls for client-facing AI engagements.
12. AI-assisted content notice
Parts of the content on this website — including text, imagery, diagrams, code samples and translations — are produced with the assistance of generative AI tools, alongside human research and editorial review. Editorial responsibility for every published artefact rests with the Alsvior Global group entity that operates the relevant page (see section 1).
Because each artefact undergoes human review and is published under the editorial responsibility of an identified legal person, we rely on the editorial-review carve-out at Article 50(4), second sub-paragraph, of the EU Artificial Intelligence Act when deciding whether to label individual pieces of content as AI-generated. We nonetheless make this general disclosure here for transparency.
Despite our review, AI-assisted content can occasionally introduce factual errors, outdated references or imprecise attribution. We do our best to detect and correct such issues before publication, and we commit to correcting verified inaccuracies promptly and free of charge. The accompanying liability framework, including the statutory rights it does not limit, is set out in section 9 of our Terms of Service.
If you spot an inaccuracy, an omission, or material that should be amended, please email privacy@alsviorglobal.com with the page URL and a description of the issue.
13. Updates to this page
Disclosures change as our regulatory position changes. The “Effective” date at the top of the page reflects the version currently in force.
14. How to contact us about this page
Questions about anything on this page can be sent to privacy@alsviorglobal.com, or by post to any of the registered offices listed in section 1.
