Who Are We?
DIPACKET, S.L., with its registered office at Calle Embalse de Navacerrada 51, Madrid, 28051, duly and legally registered in the Madrid Commercial Registry, Volume 43631 of the general companies section, Folio 122, Sheet M-770243, Entry 1, Tax Identification Number (C.I.F.): 810796498 (hereinafter “DIPACKET”). Our website is: https://dipacket.es. The legal basis for processing your data is the performance of the service agreement entered into with DIPACKET S.L., or a subscription to any of our blogs. Offers of products and services to prospective customers are based on the consent requested from you. Withdrawal of this consent will under no circumstances affect the performance of existing agreements.
Data Processing
In compliance with Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April on the protection of natural persons with regard to the processing of personal data and on the free movement of such data (hereinafter the “GDPR”), DIPACKET S.L. provides the following information: the sole purpose of the contact details supplied by each customer is communication between that customer and DIPACKET S.L. in order to carry out the commercial activities and services that DIPACKET S.L. provides to its customers.
The data collected from each data subject will be adequate, relevant and not excessive in relation to the corresponding purposes in each case, will be updated whenever necessary, and will be processed fairly, lawfully and transparently in relation to the data subject. Any personal data requested will consist solely of the data strictly necessary to identify and deal with the request made by the individual to whom the data relates, hereinafter the “data subject”.
Before their data is collected, the data subject will be informed of the general matters governed by this policy so that they can give express, specific and unequivocal consent to the processing of their data, in accordance with the following provisions. As a general rule, before processing personal data, DIPACKET S.L. obtains the express and unequivocal consent of the data subject by incorporating informed consent clauses into the various information collection systems. However, where the data subject’s consent is not required, the lawful basis relied upon by DIPACKET S.L. for processing is the existence of a specific law or regulation authorising or requiring the processing of the data subject’s data.
As a general rule, DIPACKET S.L. does not transfer or disclose data to third-party entities, except where legally required. However, if such transfers or disclosures are necessary, the data subject is informed through the informed consent clauses included in the various channels used to collect personal data. As a general rule, personal data is always collected directly from the data subject. However, in certain exceptional cases, data may be collected through third parties, entities or services other than the data subject. In such cases, the data subject will be informed through the informed consent clauses included in the various information collection channels within a reasonable period after the data has been obtained, and no later than one month. The information collected from the data subject will be retained for as long as necessary to fulfil the purpose for which the personal data was collected. Once that purpose has been fulfilled, the data will be cancelled. Such cancellation will result in the data being blocked and retained solely for the use of public administrations, judges and courts to address any potential liabilities arising from the processing, for the applicable limitation period. Once that period has expired, the information will be destroyed.
With regard to browsing data that may be processed through the website, if data subject to the applicable regulations is collected, we recommend consulting the Cookie Policy published on our website. The security measures adopted by DIPACKET S.L. are those required under Article 32 of the GDPR. In this respect, taking into account the state of the art, the costs of implementation and the nature, scope, context and purposes of processing, as well as the risks of varying likelihood and severity to the rights and freedoms of natural persons, DIPACKET S.L. has established appropriate technical and organisational measures to ensure a level of security appropriate to the existing risk. In all cases, DIPACKET S.L. has implemented sufficient mechanisms to ensure the ongoing confidentiality, integrity, availability and resilience of processing systems and services.