The websites owned by SIPAY cannot be used by people with legal disability o no emancipated minors; unless prior authorization of their parents o tutors and legal representatives authorization the registration and communication of personal data.
B. Web surfing. Cookies reservation
As provided for in the article 22.2 of the Law 34/2002, of July 11th,Services of the Information Society and Electronic Commerce (LSSI-CE) in force, SIPAY complies with its obligations of informing about the cookies that use and their purposes.
The cookies allow a webpage, among other things, to store and recover information about the surfing habits of the user or of his team and, depending of the information that contains and the way in which the user use its computer, can be used to recognize the user. The cookies are essential for the operation of the internet, providing innumerable advantages in the presentation of interactive services, facilitating the browsing and usability of our website.
The present website use the following own and third part cookies with the below purposes, associating to the anonymous user and its device, providing itself the name, last name and IP address of the user.
a. ANALYSISCOOKIES own, Log in and persistent that allows SIPAY the linked analysis of the navigation performed by the user with the purpose of keeping track of the use of the webpage as well as to carry out statistics of the most visited contents, number of visitors, etc.
b. CUSTOMIZINGCOOKIES which allows to the user a customized navigation through the website according to its language.
To use this website there’s no need to install cookies. You can configure your browser to accept, decline or notify when a cookie is going to stay in your computer, each browser is different so in case you want to configure yours to block them we provide you the following links among which you can find the one corresponding your browser:
SIPAY informs you that the website uses Google Analytics, an analytic web service provided by Google, Inc., which locates a series of cookies in your device with the only purpose of evaluate the type of navigation and present activity reports in the website, they are four cookies by default. The collection of the information about the use of the website by our users through Google Analytics is done only by Google Inc. in its own name (it isn’t done on behalf of SIPAY), SIPAY doesn’t have access at any moment to such information (only to added information that Google would provide later and it is not associate to any IP address). Also is Google who determinates the purpose of the treatment and the use of the obtained information, as well as the operation and term of the cookies. Google Inc. Is a company adhered to the Safe Harbor Agreement (Google’s registration card in the Safe Harbor Agreement. http://safeharbor.export.gov/list.aspx) which stores the collected information by the cookies that are located in its United Stated servers. The companies adhered to this agreement guarantee that the transferred data are treated with a protection level according to the European standards.
C. Data collection in the possible procurement of SIPAY’s services
At the time of acceptance of SIPAY’s services hiring conditions, the company would require the collection of basic and essential data to be able to provide the services. The mentioned data is real name and last names, address, post code, locality, CIF, country of residence, a valid email address, company’s data, CIF, as well as any other information that can be relevant for contractual effects about the Company or the representation. In each case, the user would be informed of the necessary nature of the collection of such data for the proper services management.
Likewise, to provide the services, SIPAY would be able to request the user for complementary data through personal assistance or by phone, for which the user would be inform, in that moment, about the collection and treatment of the information.
Every time SIPAY request the client for the number of a bank current account, it would be done in an encrypted way and fulfilling the most strict duty of confidentiality.
For better Service delivery, you authorize SIPAY to have the right to verify, investigate and/or check the provided data. You accept that SIPAY can reveal your personal data, complying with the requirements in a procedure or court order or legal process. Also, you accept that if SIPAY sales a part or all of the company or merge itself with another company, can reveal your information to the new business partners.
D. Limitation of Liability
SIPAY is responsible solely of the requested information and collect from the users that want to hire, not having any responsibility in any moment of all other personal information that, on eventual basis, could be given, transmitted or provided by the websites users through any other mechanism.
E. ARCO Rights information and data assurance
SIPAY provides many ways in which you can exercise your access, rectification, cancellation and opposition rights about your information. You can write to us using the “ARCO Data Protection” reference to the following address: San Rafael 1, 2 – 2ºC, 28108 Alcobendas (Madrid) or, if you prefer it, through the following email address: email@example.com.
You guarantee that the provided data are true, accurate, complete and current, being responsible for any damage, direct or indirect, that could be caused as a consequence of a failure to comply of such obligation both SIPAY as third parties.
F. Consent to comply with the LSSI-CE
In compliance with the Law 34/2002, of July 11th, Services of the Information Society and Electronic Commerce, SIPAY would request and the user would be able to lend their consent to, if desired, SIPAY could use their data in order to send them information and advertisement both at the website as in the different offers, especial promotions and third party service providers.
SIPAY, with the goal of warrantying the safety and confidentiality of the personal data, has adopted the security levels requested by the personal data protection regulations and has installed the technical means, at their availability, to prevent the lost, misuse, alteration, unauthorized access and theft of personal data provided to SIPAY.
In pursuance of the Organic Law 15/1999, of December 13th, of Protection of Personal Data (LOPD) and Law 34/2002, of July 11th, of Services Information Society and Electronic Commerce (LSSI-CE), SIPAY PLUS, S.L.U. informs the users that had created a page in the following Social Networks Twitter, Linkedin and Facebook in order to advertise its services and products.
Datos de SIPAY PLUS, S.L.U.
SIPAY PLUS, S.L.U.
San Rafael 1, 2 – 2ºC
28108 Alcobendas (Madrid)
The user has a profile in the same Social Network and has decided to join the page created by SIPAY PLUS, S.L.U., thereby showing interest in the information that is advertised in the Network. By join or page,provide us with its consent to process personal data that is published on its profile. The user can access at all times the privacy politics of the Social Network, as well as configure its profile to warranty its privacy. SIPAY has access and handle the public information or the user, especially, its contact name. This information, are only used inside the own Social Network. They are not incorporated to any file.
Regarding the access, rectification, cancellation and opposition rights, of which you have and can be exercised thereby before SIPAY PLUS, S.L.U., according to the LOPD, you must have into consideration the following aspects:
- Access: it would be defined by the Social Network functionality and the access capability of the users to the information.
- Rectification: it can only be satisfied regarding the information under SIPAY’s control; for example, delete commentaries published in the own page. Usually, this right must be exercised before the Social Network.
- Cancellation and/or Opposition: as in the previous case, can only be satisfied regarding the information under SIPAY’s control;for example, stop being attached to the profile.
SIPAY would perform the following actions:
- Access to the profile public information.
- Publishing in the user profile all the information that has been published in SIPAY’s page.
- Send personal and individual messages through the Social Network channels.
- Updates of the page status that will be published in the user profile.
The user can always control its connections; delete the contents to which it isno longer interested and restrict with who shares its connections, to do that the user would need to access its private configuration.
The user, once attached to SIPAY’s page, would be able to publish on it commentaries, links, images or photography or any other multimedia content supported by the Social Network. The user, in all cases, must be the holder, enjoy copyright and intellectual property or have the consent of affected third parties. Any publication on this page is expressly prohibited, whether they are texts, graphics, photographs, videos, etc. which are a threaten or are likely to threat the moral, the ethic, good taste or decency, or infringing, violateor infringe the intellectual and industrial property rights, the image right or the Law. In these cases, SIPAY reserves the right to delete immediately the content, being able to request the permanent block of the user.
SIPAY won’t be responsible of the contents that have been freely published by a user. The user must be aware that the contents he publishes would be known to the other users, and so he is the principal responsible of its privacy. The images that can be published on the page will not be stored in nofile by SIPAYbut willremain in the Social Network.
C. Contests and promotions
SIPAY reserves the right to perform contest and promotions, in which the user attached to its page will be able to participate. The rules of each one of them, when using the Social Network platform, would be publish in the page. Always fulfillingthe LSSI-CE legislation and any other rule applying. The Social Network doesn’t sponsor, supports neither manage, in any way, any of our promotions, neither is associated with any of them.
SIPAY will use the Social Network to publish its products and services, in any case, if you decide to treat your contact information to make direct actions of commercial prospecting, will always be, complying with the legal requirements of the LOPD and LSSI-CE.It will not be consideredas marketing recommending SIPAY’s page to other users so they can also enjoy the promotions or being informed of its activity.
Alcobendas, December 17th,2013