Mobile App users please visit LinkedIn Mobile App (China) Addendum

This Privacy Policy Addendum (the “Addendum”) provides additional disclosures required by local data protection law in the People’s Republic of China (“China”), which for purposes of this addendum does not include Hong Kong, Macau and Taiwan.  

The Addendum should be read in conjunction with the Privacy Policy, to describe LinkedIn’s practices regarding the collection and use of personal data of members residing in China.  

In addition to this Addendum, the LinkedIn Mobile App (China) Addendum also applies to the LinkedIn mobile app (China).

Cross-Border Transfers of Your Personal Information

LinkedIn provides the Services (as defined herein and in our Privacy Policy) through servers in the United States, which means that, upon your consent, your personal information may be transferred to the following countries and/or regions outside of China:

  • Recipient: LinkedIn Corporation
  • Country of the Recipient: United States
  • Types of Personal Information: Section 1 of our Privacy Policy
  • Purposes: Section 2 of our Privacy Policy
  • Privacy Policy of the Recipient:

The countries or regions where we process data may have laws which are different from, and potentially not as protective as, the laws of the country where you reside.  However, we will take measures to ensure that your personal information will have the protection stated in our Privacy Policy during the transfer.  

If you do not agree to this cross-border transfer, we are unable to provide you our Services. At any time, you can export your personal information, delete portions of your personal information, or close your LinkedIn account and delete all of your personal information. Learn more.

You may contact our local representative at: 

You may also reach us through the address below:

Beijing LinkedIn Information Technology Co., Ltd., at 11F, Tower B, Jiaming Center, No.27 East 3rd Ring North Road, 100020, Beijing, China.