"MATERIALS OF CONSTRUCTION FERNANDO ALONSO" informs the users of the website about its policy regarding the treatment and protection of personal data of users and customers that may be collected by navigation, acquisition of products or contracting services through of your website. In this sense, "MATERIALS OF CONSTRUCTION FERNANDO ALONSO" guarantees compliance with current regulations on the protection of personal data, reflected in Organic Law 15/1999 of December 13, Protection of Personal Data and the Real Decree 1720/2007, of December 21, which approves the Regulation of Development of the LOPD, and in General Regulation of Data Protection (GDPR) (EU) 2016/679.
In compliance with current legislation on data protection, users are informed that, in “MATERIALS OF CONSTRUCTION FERNANDO ALONSO”, technical and organizational measures have been adopted in accordance with the provisions of the aforementioned regulations. The personal data that are collected in the forms are subject to treatment, only, by the personnel of “MATERIALS OF CONSTRUCTION FERNANDO ALONSO” or of the Managers of the Treatment established here. The appropriate security measures have been adopted to the data provided and, in addition, all the technical means and measures at their disposal have been installed to prevent the loss, misuse, alteration, unauthorized access and theft of the data that we receive. facilitate
TRUTH OF DATA
The Client or User declares that all the data provided by him are true and correct and undertakes to keep them updated, communicating, to "CONSTRUCTION MATERIALS FERNANDO ALONSO", any modification thereof. The user will be responsible for the veracity of their data and will be solely responsible for any conflicts or disputes that may result from their falsity. It is important that, so that we can keep the personal data updated, the user informs “CONSTRUCTION MATERIALS FERNANDO ALONSO” whenever there has been any modification in them. Otherwise, we cannot answer for its truthfulness.
EXERCISE OF RIGHTS
The LOPD and the GDPR grant the interested parties the possibility of exercising a series of rights related to the processing of their personal data. As long as the user data are processed by “FERNANDO ALONSO CONSTRUCTION MATERIALS”, they may exercise their rights. For this, the user must go, providing documentation proving his identity (ID or passport), by email to email@example.com, or by written communication to the address that appears in our legal notice. Said communication must reflect the following information: Name and surname of the user, the request request, the address and the supporting information.
The exercise of rights must be performed by the user. However, they may be executed by an authorized person as the legal representative of the authorized person. In this case, the documentation proving this representation of the interested party must be provided.
The user may request the exercise of the following rights:
Right to request access to personal data.
Right to request rectification (if they are incorrect) or deletion.
Right to request the limitation of their treatment, in which case they will only be kept by “FERNANDO ALONSO CONSTRUCTION MATERIALS” for the exercise or defense of claims.
Right to object to the treatment: “CONSTRUCTION MATERIALS FERNANDO ALONSO” will stop processing your data, unless for legitimate reasons or the exercise or defense of possible claims must continue to be processed.
Right to data portability: in case you want your data to be processed by another firm, "FERNANDO ALONSO CONSTRUCTION MATERIALS" will facilitate the portability of your data to the new person in charge.
In the event that consent has been granted for any specific purpose, the user has the right to withdraw consent at any time, without affecting the legality of the treatment based on the consent prior to its withdrawal.
If a user considers that there is a problem with the way “MATERIALS OF CONSTRUCTION FERNANDO ALONSO” is handling their data, they can direct their claims to the Head of Security or to the corresponding data protection authority, being the Spanish Agency for the Protection of Data indicated in the case of Spain.
CONSERVATION OF DATA
The disaggregated data will be retained without deletion period. As for the data of Clients, the period of conservation of personal data will vary depending on the service that the Client contracts. In any case, it will be the minimum necessary, being able to be maintained until:
4 years: Law on Infracc