Signeblock, S.L. (hereinafter, SIGNEBLOCK)
Avenida de la industria 18
28760 Tres Cantos (Madrid)
918 06 00 99
Data Protection Officer: email@example.com
Information and Consent
Purpose of the Processing
The Purpose of the Processing will be to respond to queries, complaints or comments that users may have regarding the information contained on the website or the management of the contractual relationship that exists or may exist between SIGNEBLOCK and said users.
Legal Basis for Processing
The express consent of the data subject or fulfilment of the contractual relationship.
The data requested in the website contact form is mandatory (unless otherwise stated). If they are not provided or are incomplete, there is no guarantee that it will be possible to fulfil the purpose of the processing.
Data Retention Time
The personal data provided will be kept:
As long as there is a contractual relationship between the parties.
Until the data subject requests its deletion.
The time necessary to fulfil legal obligations.
The data will not be transferred to third parties, unless required by law.
Data Subjects’ Rights
They may exercise their rights of access, rectification, erasure and portability of their data, of limitation and objection to processing, as well as not to be the subject of individual decisions based solely on the automated processing of their data, through the following means by providing a valid form of ID:
By letter: SIGNEBLOCK
Avenida de la Industria 18, 28760 Tres Cantos (Madrid)
By email: firstname.lastname@example.org
The data subjects will also have the right to submit a claim to the supervisory authority, in this case, the Spanish Data Protection Agency, if they consider that the processing of personal data that concerns them violates the applicable regulations on data protection.
Only personal data provided by users through the company’s website, the contact form, or by email will be collected.
SIGNEBLOCK will process the User’s personal data in an absolutely confidential manner at all times, keeping the mandatory duty of secrecy regarding it, in accordance with the provisions of the implementing legislation, adopting the necessary technical and organizational measures to guarantee the security of the data and to avoid its alteration, loss, unauthorised processing or access, taking into account the state of the technology, the nature of the stored data and the risks to which it is exposed.