Product Terms for Surveys

Module terms for the Waysayer module Surveys.

This English version is a translation provided for convenience. The Norwegian version is the authoritative text; if the two differ, the Norwegian text prevails.

These terms apply in addition to Fastpath’s Customer Terms, the associated DPA and other agreement documents, and govern module-specific matters for Surveys. In the event of conflict, the order of precedence set out in the Customer Terms applies.

Last updated: 25 June 2026

1. What the module is

Surveys lets the Customer set up and distribute surveys via Waysayer, receive and process responses, and retrieve results and reports. A survey can be set up with open reporting or, where the Customer so chooses, with anonymised/confidential reporting. The Customer configures the survey, including the reporting mode, any thresholds and the marking of group fields.

2. Anonymised and confidential reporting

Anonymised or confidential reporting means that the recipient of the report does not get access to the link between a respondent and the responses submitted. Fastpath retains an internal link between respondent, invitation link and response in order to handle invitations, reminders, deduplication, support and secure operation, and does not share it with the Customer. The specific measures and thresholds - including what the Customer can see while the survey is in progress and when reports are made available - are described at https://fastpath.no/en/anonymous-surveys, which forms part of these Product Terms for such surveys. Fastpath warrants only the specific measures and transparency described there; it does not warrant that identification is impossible. The Customer may adjust thresholds and reporting settings. The settings in force at any time are made visible to respondents in Waysayer’s controlled templates, so that respondents are informed of the actual conditions before responding. If the Customer changes the settings in a way that weakens anonymity, this is permitted provided that the change is made through the service’s settings and is thereby disclosed to respondents. The Customer shall not attempt to identify individual respondents outside the disclosed settings, for example by combining the responses with other sources or otherwise circumventing the measures on which the service and the setup are based. If the Customer discovers circumstances that may lead to unintended de-anonymisation, the Customer shall notify Fastpath without undue delay and refrain from further use that aggravates the problem, so that the parties can assess appropriate measures.