It is Finsolutia commitment to process all personal data, in the context of its activities, and in accordance with the 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. Finsolutia has adopted the technical and organizational measures considered appropriate for the protection of personal data to prevent the loss, misuse, alteration, unauthorized access and theft of the personal data provided.
Only collect data from data subject, and only those which are strictly necessary for the performance of their business activity or Human Resources Management (if data subjects are employees of Finsolutia);
Whenever legally required, collect directly and previously the data subject consent, obtaining their authorization for its usage in the business environment of the company;
Not sharing data subject information with other entities that do not have the necessary technical and organizational measures to ensure the regulation application;
Report to the data subject, in accordance with applicable legislation, any anomalous situations that have occurred and pose significant risks to their fundamental rights and freedoms.
Subject to a lawful, fair and transparent processing;
Collected for specific, explicit and legitimate purposes;
Adequate, relevant and limited to what is required for the processing activities they are addressed;
Preserved only for as long as necessary for the purposes for which they are processed;
Processed in a manner that ensures their safety, including protection against unauthorized or unlawful processing, accidental loss, destruction or damage.
For the data subjects exercise of rights by as well as for other issues related to personal data protection, Finsolutia has appointed an element of the organization to perform the duties of “Data Protection Officer” whose responsibility is to ensure that the technical and organizational measures necessary for the effective protection of personal data and the privacy of data subjects are in place and are continually improving.
To exercise these rights, Finsolutia users can contact our offices:
Lisbon: Av dos Combatentes, n.º 43, 12.º piso, 1600-042 Lisboa.
Madrid: Calle de Cardenal Marcelo Spínola, 14, 1 planta 28016 Madrid
dpo@finsolutia.com
To receive personal data in a structured, commonly used, of automatic reading and interoperable format (capable to be read and processed by any organization), for the transmission to other data controller;
To complain within Finsolutia of any situation considered anomalous regarding the protection of personal data or privacy;
For the data subjects exercise of rights by as well as for other issues related to personal data protection, Finsolutia has appointed an element of the organization to perform the duties of “Data Protection Officer” whose responsibility is to ensure that the technical and organizational measures necessary for the effective protection of personal data and the privacy of data subjects are in place and are continually improving.
Finsolutia will keep your personal data for necessary amount of time to provide the requested service and/or to achieve the intended treatment purpose and subsequently, will keep them for the legal periods that are applicable in each case, considering the type of data, as well as the purpose of the treatment.
In any case, the user can request detailed information on the data retention periods applied by contacting our Data Protection Officer
Finsolutia Data Protection Officer may be contacted at dpo@finsolutia.com
Privacy Policy Changes
Finsolutia reserves the right to modify its privacy and treatment policy at any time.In any case, Finsolutia will always reflect all changes transparently and visibly in this privacy policy. Whenever this policy is changed we review the update date at the top of this document. We advise you to read this Privacy Policy periodically to know how Finsolutia protects your data.