LLM hosting a Danish databeskyttelsesrådgiver can sign off on.
Dedicated single-tenant infrastructure in EU-Central, operated by an EU entity with no US parent in the chain, and the paperwork your data protection adviser will ask for before production data touches it.
Not legal advice. This page describes GPUwerk's infrastructure, corporate structure, and contractual commitments. Whether it satisfies your specific obligations under Danish or EU data protection law is a question for your own databeskyttelsesrådgiver or legal counsel, not for this website.
What a Danish buyer actually checks first
Before a pilot gets past IT, someone usually wants three things confirmed, and Danish public-sector procurement in particular tends to ask them formally rather than in passing.
Where does the data sit?
On a dedicated machine in EU-Central, in the Czech Republic. It's not a region toggle in a US console; it's a specific rack, and the operating company is a Societas Europaea registered in Prague with no US parent.
Who is the vendor, legally?
PRINT IT! SE. Company details, including the address and the competent supervisory authority for GPUwerk's own processing, are published at /legal/imprint. This is a Czech entity, not a Danish one, so GPUwerk itself is not subject to oversight by Datatilsynet, the same way any other EU-Central vendor you'd work with wouldn't be.
Can procurement get the paperwork?
Yes. A standard Art. 28 GDPR data processing agreement is at /legal/dpa, and there are no sub-processors on instance workloads, listed at /legal/sub-processors. No certifications such as ISO 27001 are claimed; if one is a hard requirement for you, ask before assuming it applies.
The general landscape, stated plainly
Denmark's national supervisory authority is Datatilsynet, based in Copenhagen, and it oversees data protection compliance for companies established or processing data in Denmark, including the additional rules Denmark layered on top of GDPR through its own data protection act. GPUwerk isn't a Danish entity and isn't overseen by Datatilsynet; it's overseen by the competent Czech authority instead, the same as any other EU-Central vendor. What GPUwerk can state factually: the infrastructure runs in EU-Central under an EU entity, GDPR and the EU AI Act apply to processing done there the same way they apply anywhere else in the Union, and a standard Art. 28 DPA is available so your own adviser can run their normal review. Beyond that, how Danish implementing legislation interacts with your specific use case is a question for your own counsel, not a hosting vendor's marketing page.
For the compliance file
The facts to check against your own checklist.
| Question | Answer |
|---|---|
| Operating entity | PRINT IT! SE, Societas Europaea, Altajská 1568/2, Vršovice, 100 00 Praha 10, Czech Republic |
| Where is data physically processed? | EU-Central, on a dedicated single-tenant machine assigned to you |
| US CLOUD Act exposure? | None. No US parent, no US region, no US-incorporated entity in the chain. |
| Pricing | $0.79/hour for a single DGX Spark, $1.79/hour for a two-node cluster (128GB unified memory each) |
| Who can access instance content? | Through the instance itself, only holders of your SSH keys; password login is disabled fleet-wide. GPUwerk keeps standard infrastructure administrator access, and under the DPA does not use it on your content except at your request for support or where a legal obligation requires it. |
| Sub-processors for the workload? | None, listed at /legal/sub-processors |
| DPA (Art. 28 GDPR)? | Published at /legal/dpa, no charge |
| Certifications held | None claimed, including ISO 27001. Confirm directly if your process requires one. |
Questions we get from Danish buyers
Where is the hardware located?
EU-Central, in the Czech Republic. It's a bit further from Copenhagen than from Berlin or Hamburg, but it's still inside the EU and covered by the same GDPR rules as any Danish data centre.
Which authority is responsible for data protection oversight?
GPUwerk is operated by PRINT IT! SE, registered in Prague, so the competent Czech supervisory authority applies to GPUwerk directly. Your own company's processing is separately overseen by Datatilsynet in Denmark, the way it would be regardless of which EU vendor you hosted with. That's a question for your own databeskyttelsesrådgiver, not something GPUwerk can answer on your behalf.
Is a DPA available under Art. 28 GDPR?
Yes, published at /legal/dpa at no charge. There are no sub-processors for instance workloads, listed at /legal/sub-processors.
Is this legal advice?
No. This page describes GPUwerk's infrastructure and corporate structure. Whether it satisfies your specific compliance obligations is a question for your own databeskyttelsesrådgiver or legal counsel.
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