Privacy Policy

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This privacy policy is in accordance with Regulation (EU) 2016/679 of the European Parliament and of the Council 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 (RGPD), to Organic Law 3/2018, of 5 December, on the Protection of Personal Data and guarantee of digital rights (LOPDGDD), as well as, as far as it is not contrary to the aforementioned regulations, to Organic Law 15/1999, on the Protection of Personal Data (LOPD) and its implementing regulations, and/or those that may replace or update them in the future.

Our organization is committed to the privacy of your personal data. The personal data provided are necessary to provide our services and are processed in a lawful, fair and transparent manner, ensuring adequate security of the data, including protection against unauthorized or unlawful processing and against accidental loss, destruction or damage through the implementation of technical and organizational measures.

By means of this document, we would like to provide you with all the necessary information regarding the processing of your personal data by this organization in a transparent and fair manner.

I.- PERSON IN CHARGE OF THE TREATMENT.

IDENTITY: TREIXADURA EULALIA, S.L.
C.I.F. / N.I.F.: B53844734
ADDRESS: C/ MARQUES DE CAMPO, 39, 03700 DENIA (ALICANTE)
TELEPHONE: 965786479
E-MAIL: tascaeulalia@tascaeulalia.com

II.- RECIPIENTS OF PERSONAL DATA.

  1. The personal data provided will not be transferred except as provided for in the specific processing.
  2. Optionally, for the contracting of cloud computing services and/or services for sending e-mails, communication, as well as other related computer services, personal data may be:
    • Assigned to IT service companies located within the European Economic Area (EEA) or,
    • Transferred to IT service companies located outside the EEA under the Privacy Shield, so they have adequate protection measures in place to ensure the security of personal data. You can obtain more information by visiting this link: https://www.privacyshield.gov/welcome
  3. Optionally, to administrations and other organizations when required in compliance with legal obligations.

III.- LEGAL BASIS THAT LEGITIMIZES THE PROCESSING OF PERSONAL DATA.

For each specific processing of personal data, we will inform you of the legal basis that legitimizes it.

IV.- RIGHTS.

4.1.- RIGHT OF ACCESS.
Right to obtain confirmation as to whether personal data concerning him/her are being processed and, if so, to access them and the information relating to the purposes, categories, recipients, storage period, rights, claims before the AEPD, automated decisions and international transfers.

4.2.- RIGHT OF RECTIFICATION.
You may request the rectification of inaccurate data and complete incomplete data. It is your responsibility to ensure that the data provided is correct and to notify changes.

4.3.- RIGHT OF DELETION.
You can request the deletion of your data when they are no longer necessary, withdraw consent or are processed unlawfully, unless it is necessary for legal obligations or defense of claims.

4.4.- RIGHT TO LIMITATION.
You may request the temporary suspension of the processing of your data or its conservation beyond the necessary time.

4.5.- RIGHT TO WITHDRAW CONSENT.
You may withdraw your consent at any time. It will not affect previous processing and will not apply if the processing is required by legal or contractual obligations.

4.6.- RIGHT TO PORTABILITY.
You may receive your data in structured format and transmit it to another data controller if the processing is based on consent and is carried out by automated means.

4.7.- RIGHT TO OPPOSE.
You may object to the processing based on legitimate interest, unless there are compelling reasons or it is necessary for claims.

4.8.- RIGHT TO LEAVE A COMPLAINT WITH A SUPERVISORY AUTHORITY.
You can file a complaint with the Spanish Data Protection Agency (AEPD): https://www.agpd.es/portalwebAGPD/index-ides-idphp.php

4.9.- EXERCISE OF RIGHTS.
By letter or e-mail to the above address, attaching a copy of your NIF/NIE/Passport or similar document.

V.- PROCESSING OF PERSONAL DATA.

5.1.- GENERIC PROVISIONS.
The data collected in each processing are adequate, relevant and limited to what is necessary (minimization principle). Refusal to provide them may prevent the provision of the service. The communications provided for may be required by contract or by law.

5.2.- BASIC TREATMENTS – PAPER CURRICULUM.

  • Purpose: Management of selection processes and communication between the parties.
  • Legal basis: Express consent.
  • Transfers: To group companies for the same purpose.
  • Retention: For 2 years from the end of the processing, unless rights are exercised.

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