{"id":7624,"date":"2022-01-03T09:59:48","date_gmt":"2022-01-03T09:59:48","guid":{"rendered":"https:\/\/solbeach.es\/privacy-policy\/"},"modified":"2022-01-03T09:59:49","modified_gmt":"2022-01-03T09:59:49","slug":"privacy-policy","status":"publish","type":"page","link":"https:\/\/solbeach.es\/en\/privacy-policy\/","title":{"rendered":"Privacy Policy"},"content":{"rendered":"\t\t
Respecting the provisions of current legislation, Sol Beach (hereinafter also Website) undertakes to adopt the necessary technical and organizational measures, according to the level of security appropriate to the risk of the data collected.<\/p>
This privacy policy is adapted to the Spanish and European regulations in force regarding the protection of personal data on the Internet. Specifically, it complies with the following rules:<\/p>
The person responsible for the processing of personal data collected in Sol Beach is: New Body Training S.L., with NIF: B93596682 (hereinafter, Data Controller). Your contact information is as follows:<\/p>
Address: Av. de Mijas, n\u00famero 2, 29651 Las Lagunas de Mijas, M\u00e1laga The personal data collected by Sol Beach, through the forms provided on its pages, will be entered into an automated file under the responsibility of the Data Controller, and duly declared and registered in the General Register of the Data Protection Agency that can be consulted on the website of the Spanish Data Protection Agency (http:\/\/www.agpd.es), in order to facilitate, expedite and fulfill the commitments established between Sol Beach and the User or the maintenance of the relationship established in the forms filled out by the User, or to respond to a request or query from the User.<\/p> The processing of the User's personal data shall be subject to the following principles set forth in Article 5 of the GDPR:<\/p> The categories of data processed by Sol Beach are only identifying data. In no case are special categories of personal data processed within the meaning of Article 9 of the GDPR.<\/p> The legal basis for the processing of personal data is consent. Sol Beach undertakes to obtain the express and verifiable consent of the User for the processing of his\/her personal data for one or more specific purposes.<\/p> The User shall have the right to withdraw his\/her consent at any time. It will be as easy to withdraw consent as to give it. As a general rule, withdrawal of consent will not condition the use of the Web Site.<\/p> In the occasions in which the User must or may provide his\/her data through forms to make inquiries, request information or for reasons related to the content of the Website, he\/she will be informed in case the completion of any of them is mandatory because they are essential for the proper development of the operation carried out.<\/p> Personal data are collected and managed by Sol Beach in order to facilitate, expedite and fulfill the commitments established between the Website and the User or the maintenance of the relationship established in the forms that the latter fills or to respond to a request or inquiry.<\/p> Likewise, the data may be used for commercial purposes of personalization, operational and statistical purposes, and activities related to the corporate purpose of Sol Beach, as well as for the extraction, storage of data and marketing studies to adapt the Content offered to the User, as well as to improve the quality, operation and navigation of the Website.<\/p> At the time the personal data is obtained, the User will be informed about the specific purpose or purposes of the processing for which the personal data will be used; that is, the use or uses to which the collected information will be put.<\/p> Personal data will only be retained for the minimum time necessary for the purposes of its processing and, in any case, only for the following period: Until the end of the dealings with the customer, or until the User requests its deletion.<\/p> At the time the personal data is obtained, the User will be informed about the period for which the personal data will be kept or, when this is not possible, the criteria used to determine this period.<\/p> In the event that the Controller intends to transfer personal data to a third country or international organization, at the time the personal data is obtained, the User will be informed about the third country or international organization to which the data is intended to be transferred, as well as the existence or absence of an adequacy decision of the Commission.<\/p> Respecting the provisions of Articles 8 of the RGPD and 13 of the RDLOPD, only those over 14 years of age may give their consent to the processing of their personal data in a lawful manner by Sol Beach. In the case of a minor under 14 years of age, the consent of the parents or guardians is required for the processing, and the processing will only be considered lawful to the extent that the parents or guardians have authorized it.<\/p> Sol Beach undertakes to adopt the necessary technical and organizational measures, according to the level of security appropriate to the risk of the data collected, so as to ensure the security of personal data and prevent the accidental or unlawful destruction, loss or alteration of personal data transmitted, stored or otherwise processed, or unauthorized communication or access to such data.<\/p> The Web Site has an SSL (Secure Socket Layer) certificate, which ensures that personal data is transmitted securely and confidentially, as the transmission of data between the server and the User, and in feedback, is fully encrypted or encrypted.<\/p> However, because Sol Beach cannot guarantee the impregnability of the Internet or the total absence of hackers or others fraudulently accessing personal data, the Data Controller undertakes to notify the User without undue delay when a breach of security of personal data occurs that is likely to involve a high risk to the rights and freedoms of natural persons. In accordance with Article 4 of the GDPR, a breach of security of personal data means any breach of security that results in the accidental or unlawful destruction, loss or alteration of, or unauthorized access to or unauthorized disclosure of or access to, personal data transmitted, stored or otherwise processed.<\/p> Personal data will be treated as confidential by the Data Controller, who undertakes to inform and to ensure by means of a legal or contractual obligation that such confidentiality is respected by its employees, associates, and any person to whom it makes the information accessible.<\/p> The User has over Sol Beach and may, therefore, exercise against the Data Controller the following rights recognized in the RGPD:<\/p> Thus, the User may exercise his\/her rights by means of a written communication addressed to the Data Controller with the reference \"RGPD-solbeach.es<\/a>\", specifying:<\/p> This application and any attachments may be sent to the following address and\/or e-mail address:<\/p>
Contact telephone number: (+34) 952 477 795<\/a>
Contact email:info@solbeach.es<\/a><\/p>Personal Data Registry<\/h4>
Principles applicable to the processing of personal data<\/h4>
Categories of personal data<\/h4>
Legal basis for the processing of personal data<\/h4>
Purposes of the processing for which the personal data is used<\/h4>
Retention periods of personal data<\/h4>
Personal data of minors<\/h4>
Secrecy and security of personal data<\/h4>
Rights deriving from the processing of personal data<\/h4>