Privacy Policy
BODEGAS ESTEBAN MARTIN, S.L. informs users of its website of its policy regarding the processing and protection of the personal data that may be obtained from users and clients browsing or availing of services through its website.
The personal data collected on our website is processed in compliance with the requirements 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.
1. COLLECTION, PURPOSE AND PROCESSING OF DATA
It is the duty of BODEGAS ESTEBAN MARTIN, S.L. to inform the users of its website that their personal data is collected when they send an e-mail to the company or when filling in the forms provided by the website. In this respect, BODEGAS ESTEBAN MARTIN, S.L. shall be considered responsible for the data collected through the means previously above.
BODEGAS ESTEBAN MARTIN, S.L. informs users that the purpose for processing the collected data is as follows Attending to requests made by users, inclusion on a contact list, provision of services and management of the business relationship. The operations, management and technical processes that are performed, whether in an automated or non-automated manner, that allow collection, storage, modification and transfer of personal data, in addition to other actions, are considered processing of personal data.
All the personal data collected through the BODEGAS ESTEBAN MARTIN, S.L. website, and therefore considered processing of personal data, shall be incorporated into a database for personal information and registered with the Spanish Data Protection Agency by BODEGAS ESTEBAN MARTIN, S.L.
The personal data provided shall be retained for as long as the business relationship is maintained and no request is received for its erasure by the interested party.
2. LAWFULNESS OF PROCESSING
Lawfulness of processing is based on the consent granted by the interested party.
3. SHARING DATA WITH THIRD PARTIES
BODEGAS ESTEBAN MARTIN, S.L. informs users that their personal data will not be shared with third party organisation, except where such data sharing is necessity for compliance with a legal obligation or when the provision of a service implies the need for a business relationship with a processor.
4. DATA CONTROLLER:
The data controller is BODEGAS ESTEBAN MARTIN, S.L. Camino Virgen de Lagunas, sn – 50461 ALFAMÉN – Zaragoza, Tax Identification Number ESB50971621, Phone +34 976 628 490
5. USER RIGHTS
The Spanish Data Protection Act 15/1999 of 13 December grants the interested parties the ability to exercise a set of rights with respect to the processing of their personal data.
In the exercise of their rights, users may:
A) Request access to their personal data
B) Request its rectification or erasure
C) Request the restriction of its processing, although it will be kept for the exercise and defence of complaints
(D) Object to its processing, except on compelling legitimate grounds or for the exercise and defence of complaints
E) Request the portability of their data
F) Withdraw the consent given, except for compelling legitimate grounds or the defence of possible complaints.
Where consent has been given for a specific purpose, the data subject has the right to withdraw consent at any time, without this affecting the lawfulness of processing based on consent before its withdrawal.
In addition, the interested party may contact the data protection supervisory authority (Agencia Española de Protección de Datos (Spanish Data Protection Agency), C/ Jorge Juan 6, 50.001 Madrid) to obtain additional information or to file a complaint.
In order to exercise these rights, users must write to the following address, providing proof of identity (ID card or passport):
BODEGAS ESTEBAN MARTIN, S.L.
Camino Virgen de Lagunas, sn – 50461 ALFAMEN – Zaragoza
info@estebanmartin.es
Any communication must contain the following information: The user’s name and surname, application request, address and supporting evidence.
Rights may only be exercised by the actual owner of the data. However, they may be executed by a person authorised by the interested party as his or her legal representative. In this case, documentation must be provided evidencing this authorisation by the interested party.