Introduction
Bolzoni Group considers personal data as a primary asset to be protected, adopting procedures and behaviors aimed to ensure their security and confidentiality. Transparency to data subjects is therefore a primary objective, pursued trough effective communication tools. Bolzoni Group take appropriate measures to provide any information relating to processing to the data subject in a concise, transparent, intelligible and easily accessible form.
In this regard, this privacy policy, produced in accordance with the requirements set out in Reg. EU 2016/679 "General Data Protection Regulation", contains specific information referring to the following areas:
General information
We inform data subject (Art.4, c.1 del GDPR) about the following general items:
Data Controller, Data Protection Officer and data subject’s rights
Contacts details
Bolzoni SpA – Group Privacy Office
Address: Casoni di Podenzano - 29027 Piacenza - Italy
Tel: +39.0523.55.55.11 - Fax: +39.0523.524087 - Email: privacy@bolzonigroup.com
Purposes and lawfulness of processing (GDPR-Art.13, c.1, lett.c) | These data are only used to extract anonymous statistical information on website use as well as to check its functioning. The data might be used to establish liability in case computer crimes are committed against the website (Controller legitimate interest). |
Scope of communication (GDPR-Art.13, c.1, lett.e,f) | The data may only be processed by internal personnel, duly authorized and instructed in the processing (GDPR-Art.29) or by the Processor of the web platform (appointed Data Processor, Art.28 GDPR) and will not be disclosed to other parties, disseminated or transferred to non-EU countries. Only in the case of an investigation they can be made available to the competent authorities. |
Data retention (GDPR-Art.13, c.2, lett.a) | Data are usually kept for short periods of time, with the exception of any extensions connected to investigations. |
Data provision (GDPR-Art.13, c.2, lett.f) | The data are not provided by the data subject but automatically acquired by the site's technological systems. |
Purposes and lawfulness of processing (GDPR-Art.13, c.1, lett.c) | Only the e-mail address is requested, for the purpose of sending the newsletter. Registration is subject to acceptance of specific, free and informed consent (GDPR-Art.6, c.1, lett.a) documented through a special check-box (GDPR-Art.7, c.1). |
Scope of communication (GDPR-Art.13, c.1, lett.e,f) | The data may only be processed by internal personnel, duly authorized and instructed in the processing (GDPR-Art.29) or by the Processor of the web platform (appointed Data Processor, Art.28 GDPR, only for maintenance service) and will not be disclosed to other parties, disseminated or transferred to non-EU countries. |
Data retention (GDPR-Art.13, c.2, lett.a) | The data (email) are kept until the possible "Unsubscription", freely available at any time through the link at the bottom of each message sent. |
Data provision (GDPR-Art.13, c.2, lett.f) | Failure to provide the email address and consent will make it impossible to obtain the newsletter service. |
Purposes and lawfulness of processing (GDPR-Art.13, c.1, lett.c) | Identification and contact data are requested to send the quotation to the interested party. The request is subject to acceptance of specific, free and informed consent (GDPR-Art.6, c.1, lett.a) documented through a special check-box (GDPR-Art.7, c.1). |
Scope of communication (GDPR-Art.13, c.1, lett.e,f) | The data may only be processed by internal personnel, duly authorized and instructed in the processing (GDPR-Art.29) and will not be disclosed to other parties, disseminated or transferred to non-EU countries. |
Data retention (GDPR-Art.13, c.2, lett.a) | Personal data is processed for no longer than is necessary to achieve the purposes for which it has been collected. |
Data provision (GDPR-Art.13, c.2, lett.f) | The provision of data relating to the mandatory fields is necessary to obtain an answer, while the optional fields are aimed at providing the Bolzoni staff with other useful elements to facilitate contact. |
Purposes and lawfulness of processing (GDPR-Art.13, c.1, lett.c) |
The data are acquired for the correct management of the procedures for the evaluation of the candidates, as well as to give feedback in case of interest. The submission of the application and the choice of the data communicated are free, therefore the data subject sending the data shows the consent to the use for selection purposes (GDPR-Art.6, comma1, lett.a). |
Scope of communication (GDPR-Art.13, c.1, lett.e,f) | The data may only be processed by internal personnel, duly authorized and instructed in the processing (GDPR-Art.29) and will not be disclosed to other parties, disseminated or transferred to non-EU countries. |
Data retention (GDPR-Art.13, c.2, lett.a) |
Personal data is processed for no longer than is necessary to achieve the purposes for which it has been collected. |
Data provision (GDPR-Art.13, c.2, lett.f) | The provision of data is completely free and optional and accompanied by a specific privacy information. |
It should be noted that this information may be subject to periodic review, also in relation to the relevant legislation and jurisprudence. In the event of significant changes, appropriate evidence will be given in the home-page of the site for a suitable time. In any case, the interested party is invited to periodically consult the present policy.