Privacy Policy

PRIVACY POLICY WEB/SOCIAL MEDIA/CHANNELS DIFFUSION ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)

  1. RESPONSIBLE. IDENTIFICATION AND CONTACT

  2. DATA PROCESSING

2.1. DATA PROCESSING OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) AS RESPONSIBLE FOR THE PROCESSING OF USERS COMMUNICATION, ADVERTISING, MANAGEMENT OF THE WEB PAGE.



https://www.acmo.net/




SOCIAL MEDIA/OUTREACH CHANNELS

2.2. DATA PROCESSING APPLICABLE TO ACMO ASSOCIATES.

TREATMENTS OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) IN QUALITY OF RESPONSIBLE FOR TREATMENT WITH RESPECT TO THE ASSOCIATES TO ACMO. DATA PROCESSING OF NATURAL PERSONS ACTING ON BEHALF OF ACMO ASSOCIATES (APPLICABLE TO NATURAL PERSONS WHO WORK OR COLLABORATE WITH LOCAL BUSINESSES ASSOCIATED WITH ACMO).

2.3. DATA PROCESSING OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) AS PERSON RESPONSIBLE FOR PROCESSING WITH RESPECT TO THE MEMBERS OF THE BODIES AND AREAS OF ACMO and PHYSICAL PERSONS WORKING OR COLLABORATING WITH PUBLIC OR PRIVATE ENTITIES (COMPANIES/ASSOCIATIONS/APP…. RELATED TO THE COMMERCE OF ORIHUELA) WITH WHICH THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) MAINTAINS RELATIONS WITHIN THE FRAMEWORK OF ITS STATUTES AND INTERVENING IN ACTS IN THEIR PROFESSIONAL PROFILE..

2.4. DATA PROCESSING IN ITS CAPACITY AS DATA CONTROLLER WITH RESPECT TO THE DATA OF USERS REGISTERED WITH “TRABAJA EN COMERCIO LOCAL” (APPLICABLE TO INDIVIDUALS WHO WISH TO REGISTER THEIR DATA WITH “TRABAJA EN COMERCIO LOCAL”).

  1. RIGHTS AND EXERCISE OF RIGHTS

  2. SECURITY MEASURES

  3. RECIPIENTS (OF ASSIGNMENTS OR INTERNATIONAL TRANSFERS OF DATA)

  4. SOCIAL NETWORKS

  5. DATA PROCESSORS

  6. INTERNATIONAL DATA TRANSFERS

1. RESPONSIBLE. IDENTIFICATION AND CONTACT


By means of this communication ACMO, with address at C/Mayor de Ramón y Cajal, 9, 03300 Orihuela, Alicante and telephone 613076336.


,


hereby informs the users of the web site





https://www.acmo.net/




. ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) its personal data protection policy, so that users may freely and voluntarily determine whether they wish to provide ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) with the personal data required for the purposes described in paragraph 2.

ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) reserves the right to modify this Privacy Policy to keep it adapted to the current legislation on data protection. In such cases, ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) will announce on this Web site the changes introduced with reasonable notice prior to their implementation.

Visiting this Web site does not imply that the user is obliged to provide any information about it. In the event that the user provides any personal information, the data collected on this website will be treated fairly and lawfully subject at all times to the principles and rights contained in Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 (RGPD) and in the Spanish legislation in force on the protection of personal data.

Pursuant to Article 13 of Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 (RGPD) and Article 11 of Organic Law 3/2018, of 5 December, on the Protection of Personal Data and guarantee of digital rights we inform you that the data provided by you are going to become part of a processing system whose responsible is the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO).

DATA OF THE PERSON IN CHARGE



DENOMINATION:



ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO).

ADDRESS: C/Mayor de Ramón y Cajal, 9, 03300 Orihuela, Alicante

Phone: 613076336

Web: https://www.acmo.net/

email: acmorihuela@gmail.com

C.I.F.: G03760238

The ASSOCIATION OF COMMERCIANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO) has appointed a data protection officer, in accordance with the provisions of Articles 37, 38 and 39 of Regulation No. 2016/679 of the European Parliament.

CONTACT DETAILS DPO:

ADDRESS: C/Mayor de Ramón y Cajal, 9, 03300 Orihuela, Alicante

Phone: 613076336

email: dpo@acmo.net

2. DATA PROCESSING:

In compliance with the obligation to inform in the collection of data based on Article 13 of the EU General Data Protection Regulation (GDPR)2016/679 of the European Parliament and of the Council of 27 April 2016 and Article 11 of the Organic Law 3/2018, of December 5, on Personal Data Protection and guarantee of digital rights, ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) informs you of the existence of processing of personal data in its capacity as data processor and data controller as detailed below:

2.1. DATA PROCESSING OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) AS RESPONSIBLE FOR THE PROCESSING OF USERS COMMUNICATION, ADVERTISING, MANAGEMENT OF THE WEBSITE https://www.acmo.net/, SOCIAL MEDIA/CHANNELS DIFFUSION

PROCESSING: COMMUNICATION, ADVERTISING, WEBSITE MANAGEMENT https://www.acmo.net/SOCIALMEDIA/CHANNELS DIFFUSION

1. PURPOSE OF THE TREATMENT:

Manage requests (membership, provision of services…), management and maintenance of users for the purposes of the services offered on the website, e-commerce, management of payments through suppliers.

DATA CATEGORY:

Identification data

Payment information in case of hiring/association.

CONSERVATION:

Legally mandated time period for compliance with legal obligations and the liability period

LEGAL BASIS FOR THE TREATMENT:

Application of pre-contractual measures at the data subject’s request (Art. 6.1.b. RGPD)

Fulfillment of a contract (Art. 6.1.b. RGPD)

Express Consent (Art 6.1.a. RGPD)

RECIPIENTS OF ASSIGNMENTS:

Payment service provider/payment gateway for payment of the contracted product and/or service

TREATMENT MANAGERS:

Email Hosting: Google (Google Cloud Platform-Google Cloud EMEA Limited)

Cloud provider: Google (Google Cloud Platform-Google Cloud EMEA Limited).

Security, support and maintenance, web hosting: FÁBRICA ONLINE CONSULTING S.L..

INTERNATIONAL TRANSFER:

The service provider Google Cloud EMEA Limited (in respect of Google Cloud PLatform) may process data in any country where Google (Google LLC) or its Sub-processors have facilities. This implies that international data transfers are made to the U.S.A. and other countries.

The legality of your international data transfers to the U.S. is based on the U.S. Department of Commerce’s Data Privacy Framework certification.

The legality of the transfer to other countries is based on a Data Processing Agreement between Google and ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) which includes EU Standard Contractual Clauses and European Commission adequacy decisions on certain countries, as applicable, regarding the transfer of data from the EEA to other countries.

ORIGIN OF THE DATA:

The data subject himself or his legal representative, data obtained from the payment service provider.

2. PURPOSE OF THE TREATMENT:

To offer a communication channel between users, friends, fans, associates, potential associates, suppliers… and the ORIHUELA MUNICIPAL COMMERCIAL ASSOCIATION (ACMO).

Advertising, online marketing, commercial, direct marketing…

Positioning

Information, promotion and dissemination of activities of the ORIHUELA MUNICIPAL TRADERS ASSOCIATION (ACMO) through the publication in electronic media (website, blogs, social networks…) of recordings, photographs, etc. ….

DATA CATEGORY:

User data, identification and contact data.

Cookies (See Cookies Policy), web visit data.

Image/voice of the associates captured in videos, photographs… in congresses, conferences, public meetings and other events or activities convened and organized by the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) as attendees and also non-associated attendees within the framework of the purposes of the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO).

User data in the social networking environment

CONSERVATION:

As long as the consent remains valid, i.e. as long as you do not withdraw your consent or as long as you do not request its deletion or object to the processing.

The data provided in the corresponding social network will remain accessible to us as long as you keep the “follow” or “like” button active and when you want to stop following ACMO, you only have to “click” on “unfollow” or “no longer like”.

LEGAL BASIS FOR THE TREATMENT:

Legitimate interest (Art 6.1.f. RGPD).

Express consent (Art 6.1.a. RGPD). The follower, friend… consents to the processing of personal data that are available in your social profile, exclusively for that purpose and only in the environment of each social network in accordance with its policies of use and privacy.

PROFILE ANALYSIS:

No profiling or profiling analysis is performed using data obtained from cookies. No automated decisions are made that have legal effects or significantly affect the data subject.

RECIPIENTS OF ASSIGNMENTS:

The publication of data on the web implies the transfer of data, this publication will always be made based on the existence of a legitimate interest.

Online presence on Google: Google Ireland Limited is the provider company profile: the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) within its company profile on Google transfers data to Google. Google’s Data Protection Terms between Data Controllers.

Assignment to co-responsible for RRSS treatment will be made on the basis of your consent: SOCIAL MEDIA/SOCIAL NETWORKS providers:

Google Ireland Limited (You Tube)

Meta Platforms Ireland Limited (Facebook and Instagram).

TREATMENT MANAGERS:

E-mail hosting: Google.

Web development, programming, security, support and maintenance, web hosting provider: FÁBRICA ONLINE CONSULTING S.L..


Instant messenger service: Whatsapp business (WhatsApp Ireland


Limited


(WhatsApp Ireland Limited, data processor of the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO), transfers Data from Europe to WhatsApp LLC and Facebook Inc. and such data may be further transferred to other WhatsApp Sub-processors as well).

INTERNATIONAL TRANSFER:

a)SOCIAL MEDIA/SOCIAL NETWORKS providers: process data in the United States and other countries, currently there is no adequate level of protection for the transfer of data to the United States as a safeguard use standard contractual clauses approved by the EU Commission (= Art. 46. para. 2 and 3 GDPR) AND adequacy decisions of the European Commission on certain countries, as appropriate, regarding the transfer of data from the EEA to the United States and other countries.





Google Ireland Limited transfers data to






Google LLC on a CCT basis




(You Tube).




Meta Platforms Ireland Limited





transfers data to





Meta Platforms, Inc.


a
USA and other countries, based on




adequacy decisions of the European




of the European Commission on certain countries or the

(Facebook and Instagram).

b) Instant messaging provider Whatsapp business: WhatsApp Ireland transfers data from Europe to WhatsApp LLC and Facebook Inc. in accordance with contractual clauses

c) Cookies Providers: see Cookies Policy.


d) Provider company profile:




Google Ireland Limited transfers data to.






Google LLC on the basis of CCT




.

ORIGIN OF THE DATA:

The interested party or its representative, Google, Cookies providers, SOCIAL MEDIA/ SOCIAL NETWORKS providers, instant messaging provider.

3. PURPOSE OF THE TREATMENT:

Provide access to the contents, implement measures aimed at web security…

DATA CATEGORY:

a) Web user data (IP, ID. log…) system usage data, data automatically processed by the website, data associated with web browsing (all actions performed by the user within the website (e.g. saving a product…) associated with the user ID, the IP address…

CONSERVATION:

During the time necessary to provide access to the contents, apply measures aimed at the security of the web…

LEGAL BASIS FOR THE TREATMENT:

Legitimate interest to manage the services offered through the Web. (Art 6.1.f. RGPD)

RECIPIENTS OF ASSIGNMENTS:

The following are not foreseen

TREATMENT MANAGERS:

Email hosting: Google (Google Cloud Platform-Google Cloud EMEA Limited)

Web development, programming, security, support and maintenance, web hosting provider: FÁBRICA ONLINE CONSULTING S.L..

INTERNATIONAL TRANSFER:

The following are not foreseen

ORIGIN OF THE DATA:

The interested party himself or his legal representative.

4. PURPOSE OF THE TREATMENT:

Compliance with regulations on personal data protection (RGPD), e-commerce (LSSI) and Cookies (LSSI), consumers and users (LGDDCU and related regulations). Compliance with governance policies (Transparency…).

DATA CATEGORY:

Data related to compliance with the LOPD/RGPD, LSSI (RGPD consents, data related to the exercise of rights of affected parties…), LGDDCU and related regulations.

Doubts, questions, complaints or claims about regulatory compliance…

Publication of data related to jobs, organization chart, functions, image/voice… members of the Board of Directors and different areas and sections of the ASSOCIATION OF COMMERCIANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO).

CONSERVATION:

Legally mandated time period to comply with legal obligations and the liability period.

LEGAL BASIS FOR THE TREATMENT:

Regulatory compliance (Art 6.1.c. RGPD)

RECIPIENTS OF ASSIGNMENTS:

Public administration in case of request, Judges and Courts, intervening in the process in case of claims for reasons of regulatory compliance.

TREATMENT MANAGERS:

Web development, programming, security, support and maintenance: FÁBRICA ONLINE CONSULTING S.L..

Personal data protection compliance services: ADMINDATOS-GPS,S.L.

INTERNATIONAL TRANSFER:

The following are not foreseen

ORIGIN OF THE DATA:

The interested party itself or its legal representative, administration with competence in the matter…

2.2. DATA PROCESSING APPLICABLE TO ACMO ASSOCIATES.

TREATMENTS OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) IN QUALITY OF RESPONSIBLE OF TREATMENT WITH RESPECT TO THE ASSOCIATES TO ACMO. DATA PROCESSING OF NATURAL PERSONS ACTING ON BEHALF OF ACMO ASSOCIATES (APPLICABLE TO NATURAL PERSONS WHO WORK OR COLLABORATE WITH LOCAL BUSINESSES ASSOCIATED WITH ACMO).

TREATMENT: PARTNERS

DATA CATEGORY:

Identification and contact information

Data referring to jobs/positions

Image/voice of the associates captured in videos, photographs… in assemblies, congresses, conferences, events convened and organized by ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) as attendees in their business and professional profile and also non-associated attendees within the framework of the congress, conference, event…

Personal characteristics data (copy of ID card)

Data on membership in associations, federations…

Professional and academic data,

Job details,

Commercial information

Economic

Service transactions

Aggregate data

PURPOSE OF THE TREATMENT:

Purpose 1: To comply with the articles of the Statutes of the ASSOCIATION OF COMMERCIANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO) especially:

To manage the relations between the Association and its members in all administrative, legal and public areas… (database of associates, registrations, cancellations, maintenance of the relationship, collections…).

Purpose 2: Provision of services of the association.

Purpose 3: statistical analysis will be performed by processing your personal data in aggregate form in order to provide information about the use of certain services provided by the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO), growth of the association…

Purpose 4: Member service (processing of: queries, suggestions, complaints, exercise of rights, etc.).

Purpose 5: Relations with non-associates who show interest in the ASSOCIATION OF COMMERCIANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO) or ask questions, consultations…

Purpose 6: Information, promotion and dissemination of activities of the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) through publication in electronic media (websites, blogs, social networks, newsletters, broadcast channels …).

CONSERVATION:

Purpose 1, 2, 3, 4: The data will be kept for the duration of the legal relationship and after the termination of the same for the legally stipulated period of time in order to comply with legal obligations.

Purpose 5 and 6: as long as the data subject does not withdraw his/her consent or request its deletion or oppose to the processing, being then deleted in a definitive and irreversible way, once the temporary period of personal data blocking has expired.

LEGAL BASIS FOR THE TREATMENT:

Purpose 1. Compliance with the provisions of the Articles of Association is the fulfillment of the contractual relationship (Art. 6.1.b. RGPD).

Purpose 2: Fulfillment of contractual relationship (Art. 6.1.b. RGPD)

Purpose 3: Legitimate interest of the data controller (Art 6.1.f.. RGPD), compliance with the Governance Policies of the ASSOCIATION OF COMMERCERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) based on regulatory compliance (Art 6.1.c. RGPD) (Recital 78 and Article 24 of the RGPD, Principles of proactive responsibility, transparency, information, security…).

Purpose 4: Compliance with the provisions of the association’s bylaws (art. 6.1.b RGPD).

Purpose 5: Consent of the Data Subject (Art 6.1.a. RGPD)

Purpose 6: Legitimate interest (Art 6.1.f.. RGPD)

RECIPIENTS OF ASSIGNMENTS:

ASSIGNMENTS:

Transfer of data within the purpose 1 and 2: Those provided for in the Statutes of the ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) especially Article 5 paragraph 2 and Article 3 (aid management, associative activities …): Confederations, federations and other associations related to the commerce sector: FEDERACIÓN Alicantina de Comercio de la Pequeña y Mediana Empresa (FACPYME), Confederació d’Empresaris del Comerç, Servicis i Autònoms de la Comunitat Valenciana. (CONFECOMERÇE CV), Orihuela City Council, Chambers of Commerce and other organizations.

Data transfers within purpose 6: publication in electronic media implies data transfer.

TREATMENT MANAGERS:

Email hosting: Google (Google Cloud Platform-Google Cloud EMEA Limited)

Data protection regulatory compliance, digital rights, digital privacy: ADMINISTRATOS

Cloud provider: Google (Google Cloud Platform-Google Cloud EMEA Limited).

Security, support and maintenance, web hosting: FÁBRICA ONLINE CONSULTING S.L..

INTERNATIONAL TRANSFER:

The service provider Google Cloud EMEA Limited (in respect of Google Cloud PLatform) may process data in any country where Google (Google LLC) or its Sub-processors have facilities. This implies that international data transfers are made to the U.S.A. and other countries.

The legality of your international data transfers to the U.S. is based on the U.S. Department of Commerce’s Data Privacy Framework certification.

The legality of the transfer to other countries is based on a Data Processing Agreement between Google and ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) which includes EU Standard Contractual Clauses and European Commission adequacy decisions on certain countries, as applicable, regarding the transfer of data from the EEA to other countries.

ORIGIN OF THE DATA:


The interested party itself or its representative,

entities, organizations and companies members of ACMO.

2.3. DATA PROCESSING OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) AS PERSON RESPONSIBLE FOR PROCESSING WITH RESPECT TO THE MEMBERS OF THE BODIES AND AREAS OF ACMO and PHYSICAL PERSONS WORKING OR COLLABORATING WITH PUBLIC OR PRIVATE ENTITIES (COMPANIES/ASSOCIATIONS/APP…. RELATED TO THE TRADE OF ORIHUELA) WITH WHICH THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) MAINTAINS RELATIONS WITHIN THE FRAMEWORK OF ITS STATUTES AND INTERVENING IN ACTS IN THEIR PROFESSIONAL PROFILE.




TREATMENT:





INTERNAL RULES AND ADMINISTRATION OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO).


DATA CATEGORY:

Identification and contact information

Data referring to jobs/positions

Image/voice of the members of the bodies and areas of the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) (internal and external) captured in videos, photographs…in assemblies, face-to-face or virtual meetings…convened, organized or in which the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) participates as attendees in their professional profile.

Personal characteristics data (copy of ID card)

Data on membership in associations, federations…

Professional and academic data

Job details

Economic

PURPOSE OF THE TREATMENT:

Purpose 1Management of the internal regime of the association and its representative bodies and the internal functioning of the ASSOCIATION OF COMMERCANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO). Composition of the Board of Directors, Areas of activity…



Purpose 2:


Documentary and administrative management:

Bylaws

Agreement constitution

General and extraordinary assemblies, Board of Directors meetings.

Minutes of assemblies, Board of Directors’ meetings…

Electoral processes

Association economic documents (annual accounts, bank accounts, accounting…)



Purpose 3:


Regulatory compliance associations (application for registration, registration, registrable events such as communication statutory modification, modification of the Board of Directors…), Regulatory compliance tax, fiscal, accounting (invoices, accounting…), Regulatory compliance data protection (Documentation generated in compliance with data protection regulations such as e.g. RAT, audit…), LSSI….

Purpose 4: Governance. On the occasion of the fulfillment of a series of policies within the Governance of the ASSOCIATION OF COMMERCIANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO) (e.g. Transparency Policy).

Management of assets related to the operation and internal management of the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) (users…). Data related to the use of information systems.

CONSERVATION:

Purpose 1, 2, 3, 4: The data will be kept for the duration of the legal relationship and after the termination of the same for the legally stipulated period of time in order to comply with legal obligations.

LEGAL BASIS FOR THE TREATMENT:



Purpose 1:


Fulfillment of contractual relationship (Art. 6.1.b. RGPD).



Purpose 2:


Fulfillment of contractual relationship (Art. 6.1.b. RGPD).



Purpose 3:


Purpose 3: Regulatory compliance (Art 6.1.c. RGPD) regulations associations, fiscal, tax, accounting, data protection, LSSI….



Purpose 4:


Regulatory compliance (Art 6.1.c. RGPD) (Recital 78 and Article 24 of the RGPD, Principles of proactive responsibility, transparency, information, security…).

RECIPIENTS OF ASSIGNMENTS:

Transfer of data within the purpose 1 and 2: Those provided for in the Statutes of the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO).

Data transfers within purpose 1,2,3,4: AAPP competent in the matter.

TREATMENT MANAGERS:

Email hosting: Google (Google Cloud Platform-Google Cloud EMEA Limited)

Data protection regulatory compliance, digital rights, digital privacy: ADMINISTRATOS

Cloud provider: Google (Google Cloud Platform-Google Cloud EMEA Limited).

Security, support and maintenance, web hosting: FÁBRICA ONLINE CONSULTING S.L..

INTERNATIONAL TRANSFER:

The service provider Google Cloud EMEA Limited (in respect of Google Cloud PLatform) may process data in any country where Google (Google LLC) or its Sub-processors have facilities. This implies that international data transfers are made to the U.S.A. and other countries.

The legality of your international data transfers to the U.S. is based on the U.S. Department of Commerce’s Data Privacy Framework certification.

The legality of the transfer to other countries is based on a Data Processing Agreement between Google and ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) which includes EU Standard Contractual Clauses and European Commission adequacy decisions on certain countries, as applicable, regarding the transfer of data from the EEA to other countries.

ORIGIN OF THE DATA:

The interested party or his or her representative, competent public authorities in the matter

TREATMENT: INSTITUTIONAL REGIME OF THE ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)

DATA CATEGORY:

-Identification and contact information

-Data related to jobs/positions, employment details, professional and academic data.

-Data on membership in associations, federations…

-Image/voice of the associates, members of the organs and areas of the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) (internal and external), and participants (representatives of AAPP, sectors of activities, public or private entities related to the purposes of the association…) captured in videos, photographs…in congresses, conferences, meetings, fairs, galas… convened and organized by the ASSOCIATION OF COMMERCIANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO), or in which it participates, as attendees in their business and professional profile and also the non-associated attendees within the framework of the act, event…

PURPOSE OF THE TREATMENT:

Purpose 1.

-Organization, information and management of the activities developed to fulfill the purposes of the Association (representation, management, advocacy, training, collaboration, promotion, information, etc.).

-Organize and participate in congresses, events, meetings, fairs, galas… to discuss the problems related to Orihuela’s commerce, keep a record of the acts and events organized and in which it participates (recordings, photographs…).

-Information, promotion and dissemination of the ORIHUELA MUNICIPALITY COMMERCIAL ASSOCIATION (ACMO) and its activities through publication in electronic media (websites, blogs, social networks, newsletters, dissemination channels…).

Purpose 2:

-To manage the Association’s relations with the Administration and its bodies, as well as with other public or private entities.

Purpose 3:

-Communications, negotiations… with companies/associations/AAPP… related to Orihuela’s commerce.

CONSERVATION:

Purpose 1: The data will be kept indefinitely or until the data subject exercises his/her rights.

Purpose 1, 2, 3: The data will be kept for the duration of the legal relationship and after the termination of the same for the legally stipulated period of time in order to comply with legal obligations.

LEGAL BASIS FOR THE TREATMENT:

Purposes 1, 2, and 3: Compliance with the statutes, which is the fulfillment of a contractual relationship (Art. 6.1.b. RGPD) and legitimate interest of the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) (Art 6.1.f.. RGPD).

RECIPIENTS OF ASSIGNMENTS:

Transfer of data within the purpose 1,2,3: Those provided for in the Statutes of the ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO).

Transfer of data within the purpose 1: The publication of data on the Internet (web, Social media, dissemination channels of the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO)…) implies transfer of data (regarding information, recordings, photographs of events organized or in which the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) participates) based on legitimate interest.

TREATMENT MANAGERS:

Email hosting: Google (Google Cloud Platform-Google Cloud EMEA Limited)

Data protection regulatory compliance, digital rights, digital privacy: ADMINISTRATOS

Cloud provider: Google (Google Cloud Platform-Google Cloud EMEA Limited).


Security, support and maintenance
,
web hosting: FÁBRICA ONLINE CONSULTING S.L..

INTERNATIONAL TRANSFER:

The service provider Google Cloud EMEA Limited (in respect of Google Cloud PLatform) may process data in any country where Google (Google LLC) or its Sub-processors have facilities. This implies that international data transfers are made to the U.S.A. and other countries.

The legality of your international data transfers to the U.S. is based on the U.S. Department of Commerce’s Data Privacy Framework certification.

The legality of the transfer to other countries is based on a Data Processing Agreement between Google and ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) which includes EU Standard Contractual Clauses and European Commission adequacy decisions on certain countries, as applicable, regarding the transfer of data from the EEA to other countries.

ORIGIN OF THE DATA:

The interested party itself or its representative, public or private entities with which the ASSOCIATION OF COMMERCIANTS OF THE MUNICIPALITY OF ORIHUELA (ACMO) maintains relations within the framework of its statutes, companies/associations/AAPP… related to Orihuela’s commerce.

2.4. DATA PROCESSING IN ITS CAPACITY AS DATA CONTROLLER WITH RESPECT TO THE DATA OF USERS REGISTERED WITH “TRABAJA EN COMERCIO LOCAL” (APPLICABLE TO INDIVIDUALS WHO WISH TO REGISTER THEIR DATA WITH “TRABAJA EN COMERCIO LOCAL”).

TREATMENT: WORKS IN LOCAL COMMERCE

DATA CATEGORY:

Identification and contact information

Date of birth

Data referring to jobs/positions

Professional and academic data

Job details

Photograph (may or may not be included at the job applicant’s choice)

Curricular data


It is strictly forbidden to



forbidden



to send us information about:

-Data of a special nature (e.g. union membership, health, etc.).

-Family situation (e.g. marital status, number of children…).

-Any information that could contribute to social exclusion or be contrary to equal opportunities, affect the reputation of the job applicant and his/her future employability.

PURPOSE OF THE TREATMENT:

Purpose 1: employment portal. Creation and maintenance of a job portal to help job seekers get a job at a local ACMO partner store.

  • Register in our job portal and benefit from ACMO’s services as a job board.

  • Manage the requested service (sending of communications, reminders, confirmation of registrations for job offers, changes in the status of your applications…).

Purpose 2: communication of the data of job applicants (any person interested in working in the local commerce associated with ACMO) to the job offerers (local commerce associated with ACMO) and registration for job offers. Your resume will be transferred to the company offering the job and your data will be treated in accordance with the provisions of its privacy policy.

CONSERVATION:

Purpose 1: the period of maintenance of the candidate’s data in the employment exchange is 2 years.

LEGAL BASIS FOR THE TREATMENT:

Purpose 1: fulfillment of a contract (Art 6.1.b. RGPD) and consent of the data subject (Art 6.1.a. RGPD).

Purpose 2: Consent of the Data Subject (Art 6.1.a. RGPD)

RECIPIENTS OF ASSIGNMENTS:

Assignment within the scope of purpose 2: ACMO member companies. If you have chosen to fill out the contact form and accept the terms and conditions and privacy policy, you have consented to ACMO’s local business partners having access to your resume and being able to contact you. A local business partner asks ACMO for an employee with a certain profile and characteristics. If you meet the profile, your contact information and your resume will be sent to the store to be interviewed. The assignment is made on the basis of your authorization to transfer your curriculum vitae.

TREATMENT MANAGERS:

Email hosting: Google (Google Cloud Platform-Google Cloud EMEA Limited).

Cloud provider: Google (Google Cloud Platform-Google Cloud EMEA Limited).

Security, support, maintenance and web hosting: FÁBRICA ONLINE CONSULTING S.L..

INTERNATIONAL TRANSFER:

The service provider Google Cloud EMEA Limited (in respect of Google Cloud PLatform) may process data in any country where Google (Google LLC) or its Sub-processors have facilities. This implies that international data transfers are made to the U.S.A. and other countries.

The legality of your international data transfers to the U.S. is based on the U.S. Department of Commerce’s Data Privacy Framework certification.

The legality of the transfer to other countries is based on a Data Processing Agreement between Google and ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) which includes EU Standard Contractual Clauses and European Commission adequacy decisions on certain countries, as applicable, regarding the transfer of data from the EEA to other countries.

ORIGIN OF THE DATA:

The interested party himself or his representative.

GENERAL CONSIDERATIONS REGARDING THE PROCESSING OF DATA ON THE WEB:


ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)

also does not treat any data of minors.


In case the user is incapable,

ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)
warns that the consented assistance of the holder of parental authority or guardianship of the user or his legal representative will be necessary for the access and use of the WEB/SOCIAL MEDIA/DIFFUSION CHANNELS owned by the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) is free from any liability that may arise from the use of its official page by minors and incapable persons, such liability being the responsibility of their legal representatives in each case.

Special categories of data: It is not allowed to send data containing information that is not relevant or necessary for the purposes of the website. In particular, it is strictly forbidden to send information (through the communication channels offered in the website environment (e.g. contact form…) or the contact email acmorihuela@gmail.com or any other emails offered by the website https://www.acmo.net/.

as contact to users of this website) containing special categories of data within the meaning of Article 9 GDPR Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 and of Article 9 of the Organic Law 3/2018 of December 5, 2018, on the Protection of Personal Data and guarantee of digital rights. (data relating to political opinions, trade union membership, religious convictions, philosophical convictions, racial or ethnic origin, data relating to health, sex life, genetic data, biometric data, sexual orientation) or Article 10 RGPD and Article 10 LOPD 3/2018 relating to criminal offences, nor those that offer location data, nor financial data or data that are very personal or any that exceed those contact details necessary to request information, resolve doubts concerning the products offered by the website. https://www.acmo.net/

All our forms have the symbol * in the required fields. If you do not provide these fields, or do not check the checkboxes to accept the different uses of your data in our privacy policy, the information will not be allowed to be sent.

Profile analysis and automated decision making: does not perform profile analysis or automated decision making by monitoring your browsing habits.

COOKIES: With regard to the information required regarding the requirements relating to informed consent for the use of cookies in the terms of Article 22.2 of Law 34/2002, of Services of the Information Society and Electronic Commerce (LSSI) in relation to Article 13 RGPD and Article 11 of the LOPD 3/2018 is offered in the Cookies Policy the ASSOCIATION OF COMMERCIALS OF THE MUNICIPALITY OF ORIHUELA (ACMO) informs you that the cookies that installs https://www.acmo.net/ are exempt from informed consent. Excepted from compliance with the obligations established in Article 22.2 of the LSSI are cookies used only to allow communication between the user’s computer and the network or those that strictly provide a service expressly requested by the user. Understanding that the necessary cookies are excluded from the scope of application of Article 22.2 of the LSSI not being necessary to inform or obtain consent on its use (“Guide on the use of cookies” published in July 2020 by the AEPD and Opinion 4/2012 on the exemption from the requirement of consent of cookies published by the WG29).



https://www.acmo.net/




informs you that web browsing will only involve the installation of necessary temporary session cookies, which are used for session identification.

However, https://www.acmo.net/ contains links to third party websites that may install cookies according to their own cookie and privacy policies (e.g. Facebook button, Instagram, Whatsapp…) that you can decide whether or not to accept when accessing them.

3. RIGHTS AND EXERCISE OF RIGHTS

In accordance with the provisions of Articles 7.3, 13 and 14, 15 to 22 and 77 of 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 and in Articles 11, 12 to 18, 63, 94 and 95 of Organic Law 3/2018, of 5 December, on the Protection of Personal Data and guarantee of digital rights you may exercise the rights detailed below by sending a letter to the following address: ACMO, domiciled at C/Mayor de Ramón y Cajal, 9, 03300 Orihuela (Alicante), in person at our headquarters by proving your identity or by electronic means by proving your personality, at the address. acmorihuela@gmail.com.

ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) informs the user that he/she has the following rights derived from the applicable regulations:

Right to be informed (Article 13 RGPD and Article 11 LOPD 3/2018) The data controller must inform the data subject at the time the data is collected of the identity of the data controller, the purpose of the processing, legitimacy, storage periods, recipients, intention to make or not to make international transfers, existence and procedure for exercising the data subject’s rights and the existence or not of automated decisions, including profiling.

Right of access (Article 15 RGPD and Article 13 LOPD 3/2018): allows the data subject to obtain information on whether. ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) is processing personal data concerning you or not and, in such a case, the right to obtain information about your personal data undergoing processing.



Right of rectification (Article 16 RGPD and Article 14 LOPD 3/2018).


: allows you to correct errors and modify inaccurate or incomplete data.



Right of erasure (Article 17 RGPD and Article 15 LOPD 3/2018).


: allows the data to be deleted and no longer processed by

ACMO

unless there is a legal obligation to keep them and/or no other legitimate reasons prevail for their processing.

Right of limitation (Article 18 RGPD and Article 16 LOPD 3/2018): under the conditions laid down by law ( a)the data subject contests the accuracy of the personal data, for a period of time allowing the controller to verify the accuracy of the personal data; b) the processing is unlawful and the data subject objects to the erasure of the personal data and requests instead the restriction of their use; (c) the controller no longer needs the personal data for the purposes of the processing, but the data subject needs them for the establishment, exercise or defense of claims; (d) the data subject has objected to the processing pursuant to Article 21(1) while it is being verified whether the legitimate grounds of the controller override those of the data subject.), allows the data processing to cease, in such a way as to prevent future processing by the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO). When the limitation is exercised by the interested party, ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) will only keep them for the exercise or defense of claims.



Right to portability (Article 20 RGPD and Article 17 LOPD 3/2018).


: allows the data subject to receive their personal data and to be able to transmit it directly to another controller in a structured, commonly used and machine-readable format.

Right to object (Article 21 RGPD and Article 18 LOPD 3/2018)In certain circumstances and for reasons relating to their particular situation, data subjects may object to the processing of their data. ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) cease to process the data, except for compelling legitimate reasons, or the exercise or defense of possible claims.

Right not to be subject to automated decisions that produce legal effects (Article 22 RGPD and Article 18 LOPD 3/2018):


It is reported that the processing of your data for the purposes indicated, will not involve by

ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)

the application of automated decisions that produce legal effects for the interested party.



Right to withdraw your consent at any time (Article 7.3 RGPD)


not affecting the lawfulness of the processing based on consent prior to its withdrawal.



Right to lodge a complaint with the supervisory authority (AEPD


)


(Article 77 RGPD and Article 63 LOPD 3/2018)


if you consider that the processing does not comply with the regulations in force.

Right to be forgotten in social network services (Article 94 LOPD 3/2018) allows SOCIAL MEDIA users to delete data provided by the user or by a third party for publication by social networking services. when they are inadequate, inaccurate, irrelevant, out-of-date or excessive or have become so through the passage of time or when the rights of the interested party prevail.




Right of portability in social media services




(Art 95 LOPD 3/2018) according to which they may



receive and transmit the content they have provided to SOCIAL MEDIA providers, as well as to be transmitted directly by them to other SOCIAL MEDIA providers designated by the user.


ASSOCIATION OF TRADERS IN THE MUNICIPALITY OF ORIHUELA (ACMO

)

due to its presence in social networks tells you how you can exercise your right of deletion in their environment:




Facebook




:


Underneath the cover photo of the page, hover over.

Like us
. Select
I no longer like this page

in the drop-down menu
. For more information, you can consult the Facebook support.

SENDING OF INFORMATIVE COMMUNICATIONS

With respect to the sending of informative communications via e-mail or other equivalent means of electronic communication, given that the user’s e-mail address is a personal data when it allows the user to be identified, by means of its collection in the online data form, the user expressly authorizes ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) to process it for the sending of commercial or promotional communications concerning the products or services provided by this data controller. These communications shall be preceded by the word “advertising” at the beginning of the message and shall clearly identify ACMO. However, you may at any time revoke your consent to receive informational communications (e.g. if, during registration or later, you subscribed to a newsletter or other advertising material) by simply notifying us at our e-mail address (



acmorihuela@gmail.com






)



or by calling

613076336

.

4. SECURITY MEASURES


ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)

adopts the appropriate technical and organizational measures to maintain confidentiality, integrity and security,
availability and resilience of your personal data. We use various security procedures, taking into account industry standards, to try to protect the personal information you provide to us and to prevent unauthorized access. Our procedures The internal security measures contemplated in the storage and use of data by service providers in charge of data processing.

5.RECIPIENTS (OF ASSIGNMENTS OR INTERNATIONAL DATA TRANSFERS)

Third-party websites and collection of information from third parties:

-Online presence on Google: Google Ireland Limited is the provider company profile: the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) within its company profile on Google transfers data to Google. Google’s Data Protection Terms between Data Controllers.

Payment gateway contracted by ACMO for on-line payment management.

SOCIAL MEDIA: Facebook, Instagram.

Facebook: ACMO has a Facebook page. This service is provided by Facebook Ireland Limited. Facebook is a Meta company and shares the information it collects around the world, internally in its offices and data centers, and externally with partners, measurement providers, service providers and others third parties. Meta is a global platform, with users, partners and employees all over the world, makes transfers to operate and provide the services described in the



conditions




based on its




Privacy Policy



This includes allowing you to share information and connect with your family and friends around the world and to analyze and improve your products and troubleshoot problems that may arise with them. The widget of the social network Facebook is used on our website. In order to increase the protection of your data when visiting our website, the widget is not fully integrated into the page, but only via an HTML link. This integration ensures that when you access a page on our website that contains such buttons, no connection is yet established with the servers of the respective social network provider. If you click on one of the buttons, a new browser window will open and you can access the page of the respective service provider, where you can (if necessary after entering your login data), for example, click the “Like” or “Share” button.

Instagram: Our website incorporates an Instagram button. Before clicking on the widget, we recommend that you check information about your




privacy policy





.
This website integrates functions of the Instagram service. These functions are offered by Meta Platforms Ireland Limited 4 Grand Canal Square Grand Canal Harbour Dublin 2, Ireland. When the social networking element is active, a direct connection is established between your device and the Instagram server. Instagram thus receives information about your visit to this website.
If you are logged into your Instagram account, you can link content from this website to your Instagram profile by clicking the Instagram button. This allows Instagram to associate your visit to this website with your user account. We would like to point out that, as the provider of the pages, we have no knowledge of the content of the transmitted data or its use by Instagram.
If consent has been obtained, the aforementioned service is used on the basis of § 6 para. 1 letter a GDPR and § 25 TTDSG. Consent may be revoked at any time. If consent has not been obtained, the service is used on the basis of our legitimate interest in the highest possible visibility on social media.
Insofar as personal data is collected on our website with the help of the tool described here and transmitted to Facebook or Instagram, we and Meta Platforms Ireland Limited are jointly responsible for this data processing (Art. 26 GDPR). The joint liability is limited exclusively to the collection of the data and its transmission to Facebook or Instagram. The processing carried out by Facebook or Instagram after transmission is not part of the joint liability. The joint obligations incumbent upon us have been set forth in a joint treatment agreement. The text of the agreement is available at
https://www.facebook.com/legal/controller_addendum. Under this agreement, we are responsible for providing the data protection information when using the Facebook or Instagram tool and for the secure implementation of the tool on our website in accordance with data protection law. Facebook is responsible for the data security of Facebook and Instagram products. You can assert data subject rights (e.g. requests for information) in relation to data processed by Facebook or Instagram directly with Facebook. If you assert your rights against us, we are obliged to pass them on to Facebook.

The website has been designed through the WordPress platform, owned by the American company Automattic, Inc. Tools provided by third parties have been used for its design and operation. While we use the tools provided by the following third parties we do not share data with them, all information that comes to us through their tools is stored on our web server. List of third parties without access to data:

WordPress: We use WordPress for the development of the website. WordPress (Automattic, Inc.) does not have access to data. The website https://www.acmo.net/ installs wordpress own cookies to make our website work.

Complianz – GDPR/CCPA Cookie Consent: For cookie compliance we use the Complianz – GDPR/CCPA Cookie Consent plugin. Complianz Complianz B.V., Kalmarweg 14-5, 9723JG Groningen, The Netherlands, Website: https://complianz.io. Complianz does not have access to data, respects data minimization guidelines of the GDPR. For more information see section 8 (cookies) of this Privacy Policy, you can also obtain more information at the



Complianz Privacy Policy





.

Joinchat: is a plugin for wordpress for whatsapp supported by Slurp & Cream SL Calle Anís 7, Dos Hermanas 41089 Sevilla. It works with localstorage, so Joinchat has no access to data.


here



.






Frequently Asked Questions | Join chat (join.chat)



.

WooCommerce: is a plugin for web store management. The plugin works in local storage and installs session cookies, however these cookies are not shared with third parties.

6.SOCIAL NETWORKS


ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)


considers that you consent to the processing of your data in the social networking environment:



  1. If you become a fan or follower of


    ASSOCIATION OF TRADERS IN THE MUNICIPALITY OF ORIHUELA (ACMO)


    in their pages/channels/groups of social networks.



  2. Or if you click on one of the social media widgets in the upper right hand corner of the page





    https://www.acmo.net/




    .



The user, when becoming a fan or follower of


ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)


on their pages of social networks


Facebook or Instagram (services are provided by Meta).


is consenting:

-The processing of your personal data in the environment of that specific social network in accordance with its own privacy policy.

Access to the data you have allowed us to view, in accordance with your own privacy settings; and
ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) informs you that it holds the status of data controller without prejudice to the processing for which it is responsible for each of the social networks in which you have freely registered/subscribed/affiliated.


ASSOCIATION OF TRADERS IN THE MUNICIPALITY OF ORIHUELA (ACMO)

has no responsibility whatsoever for the processing and subsequent use of personal data that may be made by social networks and third party service providers of the information society.


ASSOCIATION OF TRADERS IN THE MUNICIPALITY OF ORIHUELA (ACMO)

will only process the personal data of users who freely and voluntarily provide through the privacy settings of your profile of each of the social networks.


All users of this site declare that they do so voluntarily and expressly consent to the processing of their data by

ACMO

as well as the display of his/her name and profile photograph in the list of fans of the present corporate page of the social network of

ACMO.


In any case

ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)

informs you of the treatments that it carries out in the environment of its SOCIAL MEDIA (


pages of social networks


social networks Facebook and Instagram

):

-Access to public profile information.

-Sending personal and individual messages through the channels of each of the social networks.

-Updates to the page to be posted on the User’s profile.

-Publication in the User’s profile of all information already published on the corporate pages of social networks.

The data controller is not responsible for the comments posted by its users on any of its corporate SOCIAL MEDIA pages, being exonerated from any legal liability that may arise from them.


The users are responsible for the truthfulness, authenticity and updating of the information and data sent to

ACMO.

When personal data (e.g. user name and profile picture of fans/followers…) are published on the social network pages of ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO)implies that they may be transferred to other visitors to it, users of the social network, responsible for the social network even that may become accessible from search engines, the user consents to such transfers to become a user of the same.

By becoming a user, you also consent to the data controller’s access to the data contained in the user list. The user allows the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) access to the data contained in the social network as a corporate profile allows it relating to profile information and those generated by the use or intervention within our page. The user also consents that the information, news or comments that we publish appear in the section of the social network enabled by it, to receive news by actively participating in our page.

The responsibility for the rest of the personal data that may be accessed by visitors to our corporate SOCIAL MEDIA pages depends on the privacy settings that each user has established in their personal profile, which is why ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) recommends a special duty of care to its users for the personal data (including images and videos) that they show in their profile. The Spanish Data Protection Agency has been understanding in its latest resolutions that publishing in open, ie make a public comment or for all, involves the application of the rules of Data Protection to the user or fan, so that ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) asks its fans that when published, commented, labeled ….on their SOCIAL MEDIA pages of the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) and the publication, comment, tagging involves the processing of personal data, do not opt for the privacy setting “public”, and in any case that the person who publishes , comments or tags on another person / user / fan has their consent and can prove it, otherwise ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) asks its fans not to publish, comment, tag anything that was the subject of processing of personal data. The publication of videos or photographs of third parties without their consent may infringe their right to honor, privacy or self-image, rights whose protection is governed by the provisions of Organic Law 1/1982 of May 5, 1982, on the civil protection of the right to honor, personal and family privacy and self-image, so it is prohibited to upload, at any time, videos or photographs of third parties.

looting, storing, publishing, sharing… any content that may be considered as an infringement of these rights.


.

It is also forbidden to use the SOCIAL MEDIA of ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) to upload, tolojar, store, publish, share… any content that may violate current regulations (Penal Code, intellectual property, industrial property, disclosure of secrets, data protection regulations, privacy, new technologies law…).

It is expressly prohibited to reproduce, share, disseminate, communicate… within or outside the SOCIAL MEDIA pages under the responsibility of ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO)on Facebook, Instagram photographs or images that have been made available by other users of the SOCIAL MEDIA pages under the responsibility of ACMO.


The community manager of ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) reserves the right to make the final decision on the publication of messages, images or videos sent by fans or to delete those messages published that are not in accordance with ACMO’s policy.

.

The data controller will not process or extract the e-mail address of the contacts of the fans/friends/followers of ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) even if they have activated the option “I allow my friends to obtain my e-mail address” because the data controller does not have their express consent.

Regarding tagging: if you do not want to be tagged without your consent ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO)recommends you follow the following itinerary: “Account” (top right), select “Privacy settings” click on “Customize settings”, click on “Things others share” and in “Suggest me for tags on my friends’ photos” which is enabled by default, select the option “Function disabled”.

It is not allowed to send unsolicited mass and/or repetitive e-mails to a plurality of persons, nor to send e-mail addresses of third parties without their consent. You will also not be able to use the SOCIAL MEDIA of ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) to send advertising or commercial communications, to send messages for advertising purposes or to collect data for the same purpose.

No user may impersonate a third party for any purpose, i.e. use the identity of another person and communicate their personal data. The user may only provide personal data corresponding to his or her own identity.

In order to increase the protection of your data when you visit our website, the links are static links that are integrated through a project called “Shariff”. This prevents your data from being sent to social networks when you visit our website. Contact between you and the social network is only established when you actively click on the button.

By becoming a user, you also consent to the data controller’s access to the data contained in the user list. The user allows the ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) access to the data contained in the social network as a corporate profile allows it relating to profile information and those generated by the use or intervention within our page. The user also consents that the information, news or comments that we publish appear in the section of the social network enabled by it, to receive news by actively participating in our page.


Being a user of our social media pages implies the international transfer of your data to Facebook Inc and Instagram, to the U.S.A., to the U.S.A., and to Instagram.


.


(See section 8)

In order to increase the protection of your data when you visit our website, the links are static links that are integrated through a project called “Shariff”. This prevents your data from being sent to social networks when you visit our website. Contact between you and the social network is only established when you actively click on the button.

Facebook: In order to enable user group-controlled marketing on social networks, a monitoring of the social media service Facebook Inc. is embedded in this website by means of a pixel. When you visit our website, the pixel is loaded from your web browser. The information is sent to Facebook. This refers, among other things, to information on whether Facebook cookies are set in your browser. This information is used to assign the browser session to an individual. This assignment is made under a pseudonym using only a Facebook ID, so that we do not obtain any personal reference.
It is possible to object to behavioral advertising in
http://optout.aboutads.info/?c=2#!/. If you check this box, an opt-out cookie will be enabled in your browser.

Joint Control Privacy Statement: FACEBOOK PIXEL

ASSOCIATION OF TRADERS OF THE MUNICIPALITY OF ORIHUELA (ACMO) has a Facebook page. This service is provided by
Facebook Ireland Limited

(META).

We have an agreement with Facebook (Controller Addendum) on the joint processing of the data. This agreement stipulates which data we process and which data Facebook processes each time you visit our Facebook page. You can read this agreement by clicking on the following link: https://www.facebook.com/legal/terms/page_controller_addendum. In relation to Statistics, we only receive anonymous statistics, therefore, we do not have access to personal data being processed by Facebook.

You can adjust your advertising settings yourself in your user account. To do so, click on the following link and log in: https://www.facebook.com/settings?tab=ads.





https://www.facebook.com/legal/controller_addendum




.

Facebook processes user data for the following purposes:

  • Advertising (analysis, creation of personalized advertising)

  • Creation of user profiles

  • Market research.

For the storage and further processing of this information, Facebook uses cookies, small text files that are stored on users’ various terminal devices. If the user has a Facebook profile and is logged into it, they are also saved and analyzed on all devices.

Facebook’s data protection declaration contains further information on data processing:

We can access statistical data of various categories through the so-called “insights” on the Facebook page. These statistics are generated and made available to us by Facebook. As the operator of the site, we have no influence on the generation and presentation. We cannot stop this function or prevent the generation and processing of data. During a selectable period and for the respective categories of fans, subscribers, people reached and people interacting, we receive the following data from Facebook, related to our Facebook page:

Total number of times the page was accessed, “Like” details, page activities, post interaction, rank, video views, post rank, comments, shared content, replies, percentage of males and females, origin based on country and city, language, calls and clicks on store, clicks on route planner, clicks on phone numbers. In addition, this method is also used to provide data on Facebook groups linked to our Facebook page.

7. DATA PROCESSORS

ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) for the development of its activity has subcontracted some services, for such purposes some of the external companies providing services with access to data have the status of data processors:

-The website offers contact by sending emails, for this purpose we inform you that our email provider is Google (Google Cloud Platform-Google Cloud EMEA Limited).

-Web development, programming, security, support and maintenance, web hosting provider: FÁBRICA ONLINE CONSULTING S.L.. Some of these services may be outsourced, the subcontracting of these services have been authorized by ACMO in the contract between ACMO and FÁBRICA ONLINE CONSULTING SL.

-Advice on regulatory compliance, data protection, digital rights, digital privacy: ADMINISTRATOS

-Whatsapp business: our Instant Messaging Provider is Whatsapp business service provided by WhatsApp Ireland Limited (privacy policy here). WhatsApp Ireland shares the personal information of its users with Meta companies and other companies owned by Meta. For more information, please refer to the “How we work with other Meta companies” section of its Privacy Policy. . These data transfers are necessary to provide the Services set forth in our Terms, as well as to operate worldwide and provide our Services to you.

The data processor contracts have been signed in accordance with the terms of Article 28 of the RGPD.

8. INTERNATIONAL DATA TRANSFERS

Data processing is generally carried out by service providers located within the European Economic Area or in countries that have been declared to have an adequate level of protection.

In other cases where data is transferred to the USA and other countries outside the EEA, we ensure the security and legitimacy of the data processing by requiring our suppliers to have Binding Corporate Rules, which guarantee the protection of information in a similar way to those established by European standards, or to subscribe to the Binding Corporate Rules.



standard contractual clauses




approved by the European Commission, or that the transfer is covered by adequacy decisions.




adequacy decisions




European Commission’s adequacy decisions on certain countries.

Facebook and Instagram (Meta Platforms Ireland Limited) based in Ireland transfers data to Meta Platforms, Inc. U.S.-based: Your data is stored in the United States, Ireland and other countries in which we operate. Facebook and Instagram (Meta Platforms Ireland Limited) and ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) are data controllers, the purpose of the international transfer of data is commercial. Facebook uses



different mechanisms to transfer your data




:






Whatsapp business:

our Instant Messaging Provider is Whatsapp business performs international data transfers that are necessary to provide the Services.

international transfers of data that are necessary to provide the Services stipulated in our Terms and Conditions.




Conditions




as well as
to operate worldwide and provide you with our Services. WhatsApp Ireland Limited transfers data to WhatsApp LLC and Facebook Inc. They are based on
at




standard contractual clauses




approved by the European Commission, and it is possible that in the




adequacy decisions




of the European Commission on certain countries, as appropriate, in connection with transfers of data from the European Economic Area to the United States and other countries.

UPDATES

This privacy policy became effective on 02/15/2024.

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