Private LLM hosting for UK companies.
Dedicated NVIDIA DGX Spark hardware in EU-Central, run by a Czech company, for UK teams who want inference workloads off US infrastructure and within the UK-EU adequacy corridor rather than routed through a US API.
Not legal advice. The UK is not an EU or EEA member. It operates its own UK GDPR alongside the Data Protection Act 2018, and the EU has granted the UK an adequacy decision covering personal data transfers. This page describes GPUwerk's infrastructure and corporate structure; it does not tell you whether that setup satisfies your specific UK GDPR obligations. Confirm with your own counsel.
Why a UK company would rent EU-hosted infrastructure
A UK company sending prompts to a US API is routing customer and internal data through infrastructure outside both the UK and the EU adequacy framework. A dedicated single-tenant DGX Spark node in EU-Central keeps that data on a specific machine, under an EU entity, with no US vendor or region in the chain. For a UK buyer this is usually framed as reducing the number of jurisdictions a data flow crosses, not as a UK GDPR compliance claim in itself.
Where does the data sit?
On a dedicated machine in EU-Central. Nothing routes through a US inference API.
Who operates it?
PRINT IT! SE, a Societas Europaea registered in Prague, Czech Republic. Company details at /legal/imprint.
Does UK GDPR still apply to my company?
Yes, UK GDPR applies to a UK-established company's own processing regardless of where a vendor is based. Using an EU-based processor doesn't change that; it changes the international-transfer picture, and the UK-EU adequacy decision is what keeps that picture simple. Confirm the specifics with your own counsel.
UK GDPR, EU GDPR and the adequacy decision
The UK left the EU in 2020 and is not an EU or EEA member, so EU GDPR does not apply to a UK company directly. Instead, the UK retained its own parallel regime, UK GDPR, enforced domestically by the Information Commissioner's Office (ICO) under the Data Protection Act 2018. Separately, the European Commission has granted the UK an adequacy decision, meaning personal data can generally move from the EU to the UK without additional transfer safeguards such as standard contractual clauses. Hosting on EU-Central infrastructure sits comfortably inside that adequacy corridor: your workload's data stays under an EU entity's operational control, and no transfer out of the EU/UK adequacy zone into the US or elsewhere happens as a result of using GPUwerk. Whether your own processing needs anything beyond that, and how UK GDPR specifically applies to your use case, is for your own counsel to assess; this page states the infrastructure facts, not your compliance position.
For the compliance file
The facts to check against your own checklist, not a substitute for your own legal review.
| Question | Answer |
|---|---|
| Operating entity | PRINT 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 GPUwerk | Czech Office for Personal Data Protection (ÚOOÚ) |
| Does UK GDPR apply to your own company? | Independently of GPUwerk; confirm scope and obligations with your own counsel |
| EU-UK adequacy status | Adequacy decision in place; EU-Central hosting stays within that corridor |
| 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 the UK
Is the UK in the EU, and does GDPR apply?
The UK left the EU in 2020 and is not an EU or EEA member. It retained its own version of the regulation, UK GDPR, alongside the Data Protection Act 2018. The EU also granted the UK an adequacy decision, so personal data can generally flow from the EU to the UK without extra safeguards. Whether that adequacy status matters for your specific processing is a question for your own counsel.
Does using an EU-based host help with UK GDPR?
Hosting on EU-Central infrastructure keeps data within the adequacy corridor between the UK and the EU, and off US infrastructure entirely, which is what most buyers are actually trying to establish. It is not a UK GDPR compliance certificate on its own.
Is a DPA available?
Yes, a standard Art. 28 GDPR-style data processing agreement is published at /legal/dpa. Whether its terms satisfy your UK GDPR obligations is something your own counsel should confirm.
Is this legal advice?
No. This page describes GPUwerk's infrastructure and corporate structure only. It makes no claim about your compliance obligations under UK GDPR or any other framework.
Related pages
EU infrastructure, adequacy-corridor data flow.
A dedicated node in EU-Central, at a fixed hourly rate.
Talk to us Deploy an instanceSee also: private LLM hosting for German companies, the private LLM hosting overview, and full pricing.