Information regarding the Data Controller for the user.
1. INFORMATION FOR USERS: FUNDICIONES Y SERVICIOS, S.A., hereinafter, the CONTROLLER, is responsible for processing the personal data of the User and informs such user that these data shall be processed in accordance with the provisions established in existing data protection regulations, Regulation (EU) 2016/279 of 27 April 2016, on the protection of natural persons with regard to the processing of personal data and on the free movement of such data and Organic Law (ES) 15/1999 of 13 December, on the protection of personal data and, accordingly the following information regarding processing is provided.
Purpose of the processing: to maintain a commercial relationship with the User. The operations established to carry out the processing are: Sending advertising/commercial communications by email, fax, SMS, MMS, social communities or any other existing or future electronic or physical means, which enable commercial communications to be submitted. These communications shall be submitted by the CONTROLLER and they shall be related to its products and services, or those of its collaborators or suppliers with whom the CONTROLLER has entered into a promotion agreement. In this case, third parties shall never have access to personal data. Conduct statistical studies. Process assignments, requests and any other type of petition submitted by the user via any of the contact forms available to users. Send the website newsletter.
Data retention criteria: data shall be retained while there is a mutual interest to maintain the purpose of the processing and when data are no longer required for this purpose, they shall be deleted with the appropriate security measures to ensure the pseudonymisation of the data or the total destruction thereof.
Data disclosure: Data shall not be disclosed to any recipient. Rights of Users: Right to withdraw the consent given at any time. Right to access, rectify and delete their data, limit processing or oppose it. Right to submit a claim before the supervisory authority (agpd.es) if they consider the processing to violate existing regulations. Contact details for users to exercise their rights before our Data Protection Officer by writing to the email address: MVILLEGAS@FUNDYSER.COM
Mandatory or optional nature of information pursuant to the LOPD and GDPR.
2. MANDATORY OR OPTIONAL NATURE OF THE INFORMATION PROVIDED BY THE USER. Users, by marking the relevant boxes and data entry fields marked with an asterisk (*) on the contact form or submitted via download forms, expressly, freely and unequivocally accept that their data are necessary for the provider, in order to address their petition, with the inclusion of data in the remaining fields being voluntary. The User guarantees that the data provided for the CONTROLLER are accurate and the User shall be responsible for communicating any changes to these data. The CONTROLLER hereby expressly informs and ensures users that their personal data shall not be assigned under any circumstances to third parties and if any data were to be assigned, the prior express and unequivocal consent of the Users would be requested. All data requested via the website are mandatory, since they are required in order to provide the best possible service for the User. If all the data are not provided, we cannot guarantee that the information and services provided will fully meet users’ requirements.
3. SECURITY MEASURES: Pursuant to the provisions established in existing data protection regulations, the CONTROLLER is complying with all the provisions set out in the GDPR and LOPD regulations for the processing of personal data for which it is responsible, and strictly with the principles described in article 5 of the GDPR and article 4 of the LOPD, pursuant to which they are processed in a lawful, loyal and transparent manner in relation to the data subject and only appropriate and relevant data are obtained, limited to those strictly required in relation to the purposes for which they are processed. The CONTROLLER guarantees that it has implemented the technical and organisational policies to apply the security measures established by the GDPR and the LOPD in order to protect the rights and freedoms of Users and has provided them with the appropriate information so that they may exercise these rights.