PRIVACY POLICY

Information on the processing of personal data of the website www.taygabeach.it
(articles 13/14 EU Regulation 679/2016, hereinafter GDPR)

For Tayga Beach personal data represent a heritage of great value and an asset to be protected, adopting procedures and behaviors aimed at guaranteeing its safeguard. Transparency towards the interested parties is therefore a primary objective, pursued through effective communication tools and aimed at making basic information available to the interlocutors on the processing of their data.

General information

The interested parties are informed (ex. Art.4, c.1 of the GDPR) of the following general profiles, valid for all areas of treatment:
all data are processed in a lawful, correct and transparent way towards the interested party, in compliance with of the general principles set out in Article 5 of the GDPR;
specific security measures are observed to prevent the loss of data, illicit or incorrect use and unauthorized access.
In the pages of the taygabeach.it site, there may be several links to other websites (links) managed by other subjects. Tayga Beach is not responsible for the privacy practices adopted by these sites. We therefore recommend that you read their privacy statements, which may be different from ours.
Tayga Beach ensures the performance of some activities (consultancy, technical support, management) by resorting to professionals and suppliers of external services. We ask these subjects for maximum confidentiality and discretion in the use of the information they become aware of. We also request that the information be used only on behalf of Tayga Beach. It should be borne in mind that in certain cases it may be necessary for Tayga Beach to disclose personal information to public officials or other institutional staff as a result of normal legal obligations.

References and rights of the interested parties

the Data Controller is Tayga Beach, in the person of its pro tempore legal representative;
to which you can contact to exercise all the rights provided for in art.15-21 of the GDPR (right of access, rectification, cancellation, limitation, portability, opposition), as well as revoke a previously granted consent; in the event of failure to respond to their requests, the interested parties may lodge a complaint with the Supervisory Authority for the protection of personal data (GDPR – Art.13, comma2, letter d).

Contact details
Bram Srl, Registered office via Bucoliche 1, 74021 Taranto, Italy, VAT number 02984710737.
Bram Srl and Taygabeach.it identify the same thing in this statement.
Email: info@taygabeach.it

Data processing connected to the functioning of this site

Navigation data

During their normal operation, the IT systems and software procedures used to operate this website acquire some personal data whose transmission is implicit in the use of Internet communication protocols. This is information that is not collected to be associated with identified interested parties, but which by its very nature could, through processing and association with data held by third parties, allow users to be identified. This category of data includes the IP addresses or domain names of the computers used by users who connect to the site, the addresses in URI (Uniform Resource Identifier) ​​notation of the requested resources, the time of the request, the method used in submitting the request to the server, the size of the file obtained in response, the numerical code indicating the status of the response given by the server (successful, error, etc.) and other parameters relating to the operating system and the user’s computer environment.

Purpose and legal basis of the processing
(GDPR-Art.13, paragraph 1, lett.c)
These data are used for the sole purpose of obtaining anonymous statistical information on the use of the site and to check its correct functioning. The data could also be used to ascertain responsibility in case of hypothetical computer crimes against the site (legitimate interests of the owner).
Scope of communication
(GDPR-Art.13, paragraph 1, lett.e, f)
The data can be processed exclusively by internal personnel, regularly authorized and instructed to the treatment (GDPR-Art.29) or by any persons responsible for the maintenance of the web platform (appointed in this case external managers) and will not be disclosed to other subjects, disseminated or transferred to non-EU countries.Only in the event of an investigation will they be made available to the competent authorities.
Data retention period
(GDPR-Art.13, paragraph 2, letter a)
The data are normally kept for short periods of time, with the exception of any extensions connected with investigative activities.
Contribution
(GDPR-Art.13, paragraph 2, letter a)
The data are not provided by the interested party but acquired automatically by the technological systems of the site.
 

Cookies

In some cases Tayga Beach resorts to the use of cookies. A cookie is a unique text file that can be sent to your browser from a website. The Tayga Beach server uses the ‘cookies’ mechanism to store temporary information on the visitor’s client in order to avoid repeating the access procedure for every request for services reserved to users.
For more details read the extended information for the site’s Cookie Policy

newsletter subscription

The Tayga Beach website provides a newsletter service, which provides interested parties with useful information relating to the topics covered.

Purpose and legal basis of the processing
(GDPR-Art.13, paragraph 1, lett.c)
Only the email address is required, for the sole purpose of sending the newsletter.Registration is subject to acceptance of specific, free and informed consent (GDPR-Art.6, comma1, lett.a)
Scope of communication
(GDPR-Art.13, paragraph 1, lett.e, f)
The data are processed exclusively by personnel regularly authorized and trained in the processing (GDPR-Art.29) or by any persons in charge of maintaining the web platform or sending the newsletter (appointed in this case external managers). The data will not be disclosed or transferred to non-EU countries.
Data retention period
(GDPR-Art.13, paragraph 2, letter a)
The data are kept until the eventual “cancellation”, freely executable at any time through the link at the bottom of each message sent.
Contribution
(GDPR-Art.13, paragraph 2, lett.f)
Failure to provide the email address and consent will make it impossible to obtain the newsletter service.

 

User registration

Tayga Beach could provide for the possibility of registration, to allow users to access reserved sections, or to take advantage of specific services or any purchase of products.

Purpose and legal basis of the processing
(GDPR-Art.13, paragraph 1, lett.c)
The data necessary for the creation of the profile and the administrative / operational management of the services offered are requested. The treatment is carried out for the fulfillment of the contractual and pre-contractual obligations with the customer and related legal obligations (GDPR-Art.6, comma1, lett.b, c). A specific, free and informed consent is also required (GDPR-Art.6, paragraph 1, letter a), documented through a specific check-box (GDPR-Art.7, paragraph 1).
Scope of communication
(GDPR-Art.13, paragraph 1, lett.e, f)
The data are processed exclusively by duly authorized and trained staff (GDPR-Art.29). The data will not be disclosed or transferred to non-EU countries.
Data retention period
(GDPR-Art.13, paragraph 2, letter a)
The data are kept for times compatible with the purpose of the collection and in any case up to the possible request for cancellation by the user.
Contribution
(GDPR-Art.13, paragraph 2, lett.f)
Failure to provide data will make it impossible to complete the registration, and / or access the reserved areas or the possible purchase of products.

Data provided voluntarily by the user through form – mail or sending e-mail through the user’s e-mail client

The optional, explicit and voluntary sending of e-mail and / or ordinary mail to the addresses indicated on this site entails the subsequent acquisition of the sender’s address, necessary to respond to requests, as well as any other personal data included in the message. If the sender sends his CV to submit his professional application, he remains solely responsible for the relevance and accuracy of the data sent. It should be noted that any curriculum without the authorization to process the data will be immediately canceled.
It should be remembered that information posted in a discussion group or forum will be treated as public and non-confidential information.In this type of communication there is the possibility that this information may be collected and used by others. We therefore ask you to pay attention during the online sessions.

Policy update

It should be noted that this information may be subject to periodic review, also in relation to the reference legislation and jurisprudence. In the event of significant changes, appropriate evidence will be given on the home page of the site for a reasonable time. However, the interested party is invited to periodically consult this policy.

FacebookInstagramYouTube