PRIVACY POLICY

Especialistas en masajes

PRIVACY POLICY

1. USER INFORMATION

SHADA MASAJES, hereinafter RESPONSIBLE, is the party responsible for the processing of the User’s personal data and informs you that this data will be processed in accordance with the provisions of current regulations on personal data protection, Regulation (EU) 2016/679 of 27 April 2016 (GDPR) on the protection of natural persons with regard to the processing of personal data and the free movement of such data, for which reason you are provided with the following processing information:

Purpose of processing: to maintain a commercial relationship with the User. The operations envisaged to carry out the processing are:

Sending commercial advertising communications by email, fax, SMS, MMS, social communities or any other electronic or physical means, present or future, that enable commercial communications to be made, as long as they have been previously authorised. These communications will be made by the RESPONSIBLE and related to its products and services, or those of its collaborators or suppliers with whom it has reached a promotional agreement. In this case, third parties will never have access to personal data.

Conduct statistical studies.

To process orders, requests or any type of request made by the user through any of the forms of contact made available to them.

Send out the website newsletter.

Data retention criteria: data shall be retained for as long as there is a mutual interest in maintaining the purpose of the processing and when no longer required for that purpose, they shall be deleted with appropriate security measures to ensure pseudonymisation of the data or total destruction of the data.

Communication of data: Data will not be communicated to third parties, unless legally obliged to do so.

Rights granted to the User:

The right to withdraw consent at any time.

Right of access, rectification, portability and deletion of their data and to limit or oppose its processing.

The right to lodge a complaint with the supervisory authority (www.aepd.es.) if he/she considers that the processing does not comply with the regulations in force.

Contact details to exercise your rights:

Domain name / Trade name: Shada Masajes

Holder: MICHAL KRASZCZUK NETO. NIE: Y7266652T.

Phone: 640 610 345

E-mail: [email protected]

2. OBLIGATORY OR OBLIGATORY CHARACTER OF THE INFORMATION PROVIDED BY THE USER

Users, by ticking the corresponding boxes and entering data in the fields marked with an asterisk (*) in the contact form or presented in download forms, expressly and freely and unequivocally accept that their data are necessary for the provider to deal with their request, the inclusion of data in the remaining fields being voluntary. The User guarantees that the personal data provided to the RESPONSIBLE are truthful and is responsible for communicating any changes to them.

The RESPONSIBLE expressly informs and guarantees users that their personal data will not be transferred under any circumstances to third parties, and that whenever any type of transfer of personal data is carried out, the express, informed and unequivocal consent of the Users will be requested beforehand. All the data requested through the website are obligatory, as they are necessary for the provision of an optimum service to the User. In the event that all the data is not provided, there is no guarantee that the information and services provided will be completely tailored to your needs.

3. SECURITY MEASURES

That in accordance with the provisions of the current regulations on personal data protection, the RESPONSIBLE is complying with all the provisions of the GDPR regulations for the processing of personal data under its responsibility, and manifestly with the principles described in Article 5 of the GDPR, whereby they are processed lawfully, fairly and transparently in relation to the data subject and in a manner that is adequate, relevant and limited to what is necessary in relation to the purposes for which they are processed.

The CONTROLLER guarantees that it has implemented appropriate technical and organisational policies to apply the security measures set out in the GDPR in order to protect the rights and freedoms of Users and has communicated appropriate information to them so that they can exercise them.