Private LLM hosting for companies in Saudi Arabia.

Dedicated NVIDIA DGX Spark hardware in EU-Central, run by a Czech company, for teams in Saudi Arabia who want inference workloads on a dedicated, single-tenant machine rather than a shared US API. This is a statement about where the hardware sits and who has access to it, not a GDPR compliance claim.

Not legal advice, and not a GDPR compliance claim. Saudi Arabia is not an EU or EEA member. GDPR does not apply to a Saudi-registered company by default. This page describes where GPUwerk's hardware sits and who operates it; it does not tell you whether GDPR, Saudi Arabia's own PDPL, or some other framework applies to your business. Confirm that with your own counsel before treating this as a compliance answer.

Why dedicated infrastructure matters, with or without a GDPR requirement

A company in Riyadh, Jeddah, or the Eastern Province handling client records, contracts, or proprietary process data has a plain reason to avoid routing prompts through a third-party US API: the data leaves the building and lands on shared, multi-tenant infrastructure operated by a vendor with its own terms and its own government's legal reach. A dedicated DGX Spark node in EU-Central, running a model you choose, keeps prompts and outputs on hardware assigned to you alone. That's an infrastructure and access-control decision, separate from any question about which privacy law governs your data.

Where does the data sit?

On a dedicated machine in EU-Central. Nothing routes through a US inference API or a shared multi-tenant pool.

Who operates it?

PRINT IT! SE, a Societas Europaea registered in Prague, Czech Republic. Company details at /legal/imprint.

Does Saudi PDPL apply here?

Saudi Arabia's PDPL, overseen by SDAIA, governs personal data processing by Saudi companies and carries its own cross-border transfer rules. Whether and how it governs your use of an EU-based processor is a question for a lawyer familiar with the PDPL, not this page.

Dedicated hardware vs. a shared API

Saudi Arabia is not an EU or EEA member, so GDPR does not bind a Saudi company by default. If your company handles personal data belonging to EU residents, that data may fall under GDPR regardless of where your company is registered, but that is a fact-specific question this page cannot answer for you. Confirm that with your own counsel before treating any part of this page as a compliance determination. Separately from that question, a single-tenant GPU node in EU-Central avoids the queueing and data-handling terms that come with a shared US API: your prompts don't sit alongside other tenants' traffic, and the model and hardware are yours for the duration of the reservation.

For the compliance file

The facts to check against your own checklist, not a substitute for your own legal review.

QuestionAnswer
Operating entityPRINT IT! SE, Societas Europaea, Prague, Czech Republic
Where is data physically processed?EU-Central, on a dedicated single-tenant machine assigned to you
Supervisory authority for GPUwerkCzech Office for Personal Data Protection (ÚOOÚ)
Does GDPR apply to your company by default?No. Confirm with your own counsel whether an EU nexus applies to your specific processing
Does Saudi PDPL apply to your company?Likely, if you process personal data as a Saudi-based company; confirm scope with your own counsel
US CLOUD Act exposure for GPUwerk infrastructure?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); a customer-requested stop holds the reservation at 75% of the running rate
DPA available?Yes, at /legal/dpa. Confirm fit with your counsel

Questions we get from buyers in Saudi Arabia

Does GDPR apply to a company registered in Saudi Arabia?

Not by default. Saudi Arabia is not an EU or EEA member, so GDPR does not automatically apply to a Saudi-registered company. Saudi Arabia has its own PDPL, overseen by SDAIA. Whether GDPR applies to any specific processing you do depends on facts your own counsel should assess.

Why would a company in Saudi Arabia use an EU-hosted LLM provider?

Common reasons include EU clients or partners who ask where data is processed, and a preference for keeping prompts off US hyperscaler infrastructure and on dedicated, single-tenant hardware. Neither is a GDPR compliance claim on GPUwerk's part; it's a statement about where the hardware physically sits.

Is a DPA available?

Yes, a standard Art. 28 GDPR-style data processing agreement is published at /legal/dpa. Whether it fits your PDPL obligations is a question for your own counsel.

Is this legal advice?

No. This page describes GPUwerk's infrastructure and corporate structure only. It makes no claim about your compliance obligations under Saudi law, GDPR, or any other framework.

Related pages

Dedicated infrastructure, no shared US API in the loop.

A single-tenant node in EU-Central, at a fixed hourly rate.

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See also: dedicated vs. shared GPU, data sovereignty vs. data residency, the private LLM hosting overview, and full pricing.