Enterprise Technology Stack & Vendor Relationships
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Fidelity National Information Services, Inc. is a Georgia corporation headquartered in Jacksonville, Florida, trading on the NYSE as FIS, and its 2025 Form 10-K uses “FIS,” “Company,” and “registrant” to include the corporation and its subsidiaries 1.
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FIS describes itself as a financial-technology provider serving financial institutions, businesses, and developers through managed processing, licensed software, maintenance, data-centre, and private-cloud delivery arrangements 1.
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No public evidence identified of an FIS licensing, subscription, deployment, integration, procurement, or mandated-integrator relationship involving Check Point, Wiz, CyberArk, SentinelOne, Palo Alto Networks, NICE, Verint, Claroty, or another identified Israeli-origin enterprise-technology vendor 1, 2, 3, 4, 5.
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No public evidence identified that an FIS integrator deployed Israeli-origin technology for a named FIS programme, or that a managed-service or bundled platform indirectly supplied such technology to FIS 1, 2, 3, 4, 5.
Surveillance, Biometrics & Retail Technology
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FIS’s privacy notice states that categories of personal data it may process can include financial data, precise geolocation, biometric templates, work-performance information, criminal-record data, and other sensitive personal data 6.
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The privacy disclosure is a general description of potential data categories and does not establish Israeli processing, access, deployment, or use of those data categories by an Israeli entity 6.
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No public evidence identified of FIS use of Israeli-origin facial recognition, biometric identification, behavioural analytics, gait analysis, retail analytics, predictive-policing, social-monitoring, sentiment-monitoring, or workforce-surveillance products 1, 2, 3, 4, 5.
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No public evidence identified that FIS obtained such surveillance or biometric capabilities through a named managed-service provider, reseller, or bundled platform 1, 2, 3, 4, 5.
Cloud Infrastructure, Data Residency & Sovereign Cloud Participation
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FIS states that it acts as a processor of personal data for bank and capital-markets clients and that FIS and its subsidiaries operate across multiple jurisdictions 6.
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FIS’s public privacy materials do not identify Israel as a location for customer-data storage, processing, routing, support, or data residency 6.
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For workforce personal data, FIS states that it may transfer, use, or store information outside the country of origin subject to applicable law and listed transfer safeguards, without identifying Israel as a storage, processing, or access jurisdiction 6.
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FIS reported approximately 80 owned or leased support centres, data-processing facilities, and other facilities in its 2025 Form 10-K, without a geographic allocation, and that filing contains no text match for “Israel” 1.
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No public evidence identified of an FIS-operated, leased, or colocated Israeli data centre; an Israeli cloud region; Project Nimbus participation; or an Israeli government sovereign-cloud, resilience, or data-sovereignty contract 1, 6, 2, 3, 4, 5.
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FIS’s subsidiary listing confirms Israeli-incorporated entities but does not establish that either entity stores, routes, processes, supports, or can access FIS or customer production data 7.
Defence, Intelligence & Security Sector Technology Relationships
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No public evidence identified of a verified FIS contract, partnership, service agreement, procurement award, or dual-use deployment involving the Israeli Ministry of Defense, the IDF, Israeli intelligence agencies, or another Israeli security body 1, 2, 3, 4, 5.
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FIS’s current 10-K does not identify Israel-specific government or defence customers 1.
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No public evidence identified of FIS developing, selling, licensing, or maintaining offensive-cyber capabilities, exploit tools, digital weapons, or related services for Israeli state actors 1, 2, 3, 4, 5.
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The available reviewed materials do not identify Israeli tender numbers, agency contract notices, reseller names, or customer names that could be traced to primary procurement records 1, 2, 3, 4, 5.
AI, Algorithmic & Autonomous Systems
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FIS’s 2025 Form 10-K identifies the company as a regulated ICT-services provider and discusses generally applicable AI regulation 1.
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The filing does not identify Israeli state, military, intelligence, security, or occupied-territory customers for FIS AI-related services 1.
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No public evidence identified of FIS supplying AI or machine-learning systems, computer vision, autonomous decision-support, surveillance-derived training data, autonomous tracking systems, or related capabilities to Israeli state, military, or security bodies 1, 2, 3, 4, 5.
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No public evidence identified of an Israeli-linked autonomous or surveillance technology deployment through FIS’s disclosed managed-processing, software, maintenance, data-centre, or private-cloud delivery models 1, 2, 3, 4, 5.
Technology Ecosystem & R&D Footprint
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FIS reported more than 44,000 employees as of 31 December 2025, with more than 27,000 principally employed outside the United States 1.
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FIS’s 15 January 2026 subsidiary exhibit lists Fidelity Information Services (Israel) Ltd., incorporated on 30 September 1984, and Oshap Software Industries Ltd., incorporated on 29 December 1985, as active Israeli corporations 7.
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Both listed Israeli entities report trading and registered addresses at 9 Hamanofim Street, Ackerstein Towers, ninth floor, Herzliya, Israel 7.
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The subsidiary exhibit confirms corporate status and address information but does not disclose either entity’s headcount, business function, products, customers, R&D remit, data-access permissions, or facility role 7.
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No public evidence identified of an FIS Israeli R&D centre, engineering office, innovation lab, accelerator, Israeli technology-company acquisition, strategic investment in an Israeli technology fund or startup, patent licence, co-development arrangement, or research collaboration with an Israeli-domiciled entity 1, 7, 2, 3, 4, 5.
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FIS completed the sale of its remaining Worldpay interest to Global Payments on 9 January 2026, so Worldpay should not be assumed to be an FIS subsidiary in post-closing activity assessments 1.
Civil Society Scrutiny & Regulatory History
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The supplied full-text review found no mention of FIS Global in the OHCHR 2023 settlement-business database, the OHCHR 2025 update, or the UN Special Rapporteur’s A/HRC/59/23 report, which is a document-scoped finding rather than a database-wide absence conclusion 2, 3, 4.
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The supplied review also found no FIS mention in the specified Amnesty, Human Rights Watch, Al-Haq, PAX, BankTrack, Don’t Buy Into Occupation, BDS, KLP, Who Profits, and related multi-company materials, limited to the documents reviewed 2, 3, 4.
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No public evidence identified of an organised Israel- or occupied-territory-specific boycott campaign, regulatory inquiry, export-control action, sanctions investigation, litigation, or public FIS response concerning technology provision to Israel or the occupied territories 1, 2, 3, 4, 5.
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FIS’s 2024 Form 10-K identifies sanctions, anti-corruption, and export-control compliance as global risk areas and states that its policies call for screening relevant third parties and transactions 5.
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FIS’s 2024 Form 10-K mentions the Israel–Hamas conflict among global events that may affect operations but does not describe FIS operations, contracts, customers, or facilities in Israel or the occupied territories 5.
Footnotes
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https://www.sec.gov/Archives/edgar/data/1136893/000113689326000013/fis-20251231.htm ↩ ↩2 ↩3 ↩4 ↩5 ↩6 ↩7 ↩8 ↩9 ↩10 ↩11 ↩12 ↩13 ↩14 ↩15 ↩16 ↩17 ↩18 ↩19 ↩20
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https://undocs.org/A/HRC/53/24 ↩ ↩2 ↩3 ↩4 ↩5 ↩6 ↩7 ↩8 ↩9 ↩10 ↩11 ↩12 ↩13 ↩14
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https://undocs.org/A/HRC/60/19 ↩ ↩2 ↩3 ↩4 ↩5 ↩6 ↩7 ↩8 ↩9 ↩10 ↩11 ↩12 ↩13 ↩14
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https://undocs.org/A/HRC/59/23 ↩ ↩2 ↩3 ↩4 ↩5 ↩6 ↩7 ↩8 ↩9 ↩10 ↩11 ↩12 ↩13 ↩14
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https://www.sec.gov/Archives/edgar/data/1136893/000113689325000014/fis-20241231.htm ↩ ↩2 ↩3 ↩4 ↩5 ↩6 ↩7 ↩8 ↩9 ↩10 ↩11 ↩12 ↩13 ↩14
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https://www.sec.gov/Archives/edgar/data/1136893/000113689326000013/listofsubsfinalcompanies.htm ↩ ↩2 ↩3 ↩4 ↩5