Privacy Policy
Information on the processing of personal data of users of the site, pursuant to Article 13 of (EU) Regulation 2016/679
PREMISE
Pursuant to (EU) Regulation 2016/679 (hereinafter referred to as "Regulation" or "GDPR"), this page describes how to process the personal data of users who consult the website which Tannus International Srl (hereinafter, “Tannus International ”) has provided for its institutional purposes.
This information does not relate to other sites, pages or online services accessible via hypertext links that may be published on the sites but refer to resources external to the domains:
Following consultation of the site, data of data subjects may be processed, i.e. data relating to identified or identifiable individuals, and this entails the need, for those who decide on the purposes and methods of processing ("Data Controllers"), to respond to certain obligations, including informing data subjects and obtaining consent, where the latter constitutes the legal basis for processing.
Given that the processing will be based on the principles of legality, correctness and transparency, minimisation and limitation of data retention, accuracy, integrity and confidentiality, in light of the above, Tannus International provides you with the following information.
Data Controller
Tannus International Srl,
Via dei Molini 15, 33017 Tarcento (Ud) (Sede Legale)
Via Francesco Comelli 31/2 33034 Fagagna (UD) (Sede Op.)
Tel: (+39) 0432/997174
PEC: tannusitaliasrl@legalmail.it
Data Protection Officer (DPO) c/o Tannus International Srl,
Ing. Fabrizio Bottacin, Ph.D.
Tel: (+39) 0432/997174
PEC: tannusitaliasrl@legalmail.it
PERSONAL DATA AND THEIR ORIGIN
Data are collected directly from the data subject and are limited to the following:
PURPOSE
Newsletter and Subscription
LEGAL BASIS 6.1.a Consent
NOTE
Data Subjects: recipient of the Newsletter.
Retention Time
The data will be processed until the cancellation request for the sending of the Newsletter only.
OBLIGATORY PROVISION OF DATA
For the pursuit of the aforementioned purposes, common data will generally be processed (personal data, e-mail, ...).
The processing responds to the principle of data minimization and limitation of conservation: the minimum set of data will be processed for the strictly necessary period.
In the absence of consent, the newsletters will not be sent.
RECIPIENTS AND PERSONS IN CHARGE OF DATA PROCESSING
Without prejudice to the communications and disclosures made in execution of contractual obligations, those ordered by Authorities or provided for by the Law, provided that the communication to third parties does not exempt the latter from providing the information and from requesting consent to the processing, it is specified that the data may be communicated to:
The data will not be disclosed.
The data may be processed by subjects qualified as Managers pursuant to art. 4.8 and Article 28 of the GDPR (professionals, consultancy and service companies, hardware and software assistance companies, professionals and service companies also operating in the field of communication, web designers, graphics and production of multimedia material) both by of persons authorized to process data pursuant to art. 29, who operate under the direct authority of the Data Controller (employees and collaborators in various capacities), who has appointed them.
TRANSFER OF PERSONAL DATA TO NON-EU COUNTRIES
The Data Controller makes use of professional services offered by some suppliers, adequately qualified as Data Processors. This may result in the data being transferred outside the EU but only:
DATA SUBJECT RIGHTS (GDPR ARTS. 15-22)
Data subjects have the right to be informed by the Data Controller whether or not personal data relating to them is being processed and, potentially, request access to, rectification and deletion of their personal data, or to limit the purposes of the processing of data concerning them or to oppose their processing ̶ if this is not required by law ̶ in addition to exercising their right to data portability.
At any time, the data subject has the right to withdraw his or her consent, without this affecting the lawfulness of the processing undertaken on the basis of consent given before this was withdrawn.
Every data subject also has the right to lodge a complaint with the supervisory authorities.
last updating: 2025_01