PRIVACY POLICY

1. INFORMATION PROVIDED TO USERS

PID MEDIOAMBIENTAL S.L, hereinafter the CONTROLLER, is responsible for processing users' personal data, and hereby informs them that this data will be processed in accordance with the provisions of Regulation (EU) 2016/679 of April 27 (GDPR) and Spanish Organic Law 3/2018 of December 5 (LOPDGDD), because of which the following processing information is provided:

Purpose of the processing: to maintain a business relationship with the User. The operations foreseen to carry out the processing are the following:

  • Sending of advertising communications by email, fax, SMS, MMS, social media, or any other electronic or physical means, in the present or in the future, allowing to carry out business communications. These communications will be carried out by the CONTROLLER and will be related to its products and services, or those of the collaborators or suppliers with which it has established advertising agreements. In this last case, under no circumstances shall these third parties have access to personal data.
  • To carry out statistical studies.
  • To process orders, requests, or any type of request made by Users by means of the contact methods provided to them.
  • To send out the website's newsletter.

Legal basis of the processing: the consent of the party involved.

Data conservation criteria: data will be conserved for no longer than the time necessary to maintain the purpose of the processing, and when the data is no longer necessary for this purpose, it will be deleted with security measures that are adequate to guarantee the anonymity of the data or its total destruction.

Communication of the data: The data will not be sent to third parties except in the case of legal obligations to do so.

Users’ Rights:

  • The right to withdraw their consent at any time.
  • The right to access, rectify, the portability of and the deletion of their data as well as to restrict or oppose its processing.
  • The right to submit a claim to the oversight authority (www.aepd.es) if they believe that the processing is not compliant with current legislation.

Contact information for exercising your rights:

PID MEDIOAMBIENTAL S.L. CALLE ISABEL LA CATOLICA, 1 PLANTA PRIMERA, - 28320 PINTO (Madrid). Email: asp@aspasepsia.com

2. OBLIGATORY OR OPTIONAL NATURE OF THE INFORMATION PROVIDED BY USERS

By checking the corresponding checkboxes and entering the data in fields marked with an asterisk (*) in the contact form or which are presented on downloadable forms, Users expressly, freely, and unequivocally accept that their data is necessary for the service provider to be able to address their request, with the inclusion of the data in the remainder of fields being voluntary. Users guarantee that the personal data provided to the CONTROLLER is accurate, and are responsible for informing it of any modification to this data.

The CONTROLLER must expressly inform Users and guarantee that their personal data will not be transferred to third parties under any circumstances, and that whenever any personal data transfer is carried out, their express, informed, and unequivocal consent will be asked for in advance. All of the data provided by the website is obligatory, as it is necessary in order to provide optimal service to Users. In the event that not all data is provided, there is no guarantee that the information and services provided will be completely adequate for Users' needs.

3. SECURITY MEASURES

In accordance with the provisions of data protection legislation in effect, the CONTROLLER is compliant with all of the provisions of the GDPR regarding the processing of the personal data for which it is responsible, and expressly accepts the principles described in article 5 of the GDPR, according to which data must be processed legally, accurately, and transparently in relation to the party involved, and in a way that is suitable, relevant, and limited to that which is exclusively necessary in relation to the purpose for which it is processed.

The CONTROLLER guarantees that it has implemented the technical and organizational policies necessary to apply the security measures established in the GDPR in order to protect the rights and freedoms of Users, and that it has provided them with the information necessary to exercise these rights.

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