1. CONTROLLER. IDENTIFICATION AND CONTACT
2. DATA PROCESSING: Data processing in which EL JARDIN DEL CABO acts as controller of the data of users of the website http://www.eljardindelcabo.es.
3. RIGHTS AND EXERCISE OF RIGHTS
4. SECURITY MEASURES
5. RECIPIENTS (OF INTERNATIONAL DATA TRANSFERS OR ASSIGNMENTS)
6. DATA PROCESSORS
7. SOCIAL NETWORKS
8. INTERNATIONAL DATA TRANSFERS
9. COOKIES
1. CONTROLLER. IDENTIFICATION AND CONTACT
By means of this communication, EL JARDIN DEL CABO, with registered office at Ctra. C.802, Polígono 1 Parcela 11, CP 03430 Onil (Alicante) and telephone number 660007981, informs users of the website http://www.eljardindelcabo.es of its personal data protection policy, so that users may freely and voluntarily determine whether they wish to provide EL JARDIN DEL CABO with the personal data required for the provision of services or, where appropriate, the sale of products, the offer of quotes that they have previously requested by any means and for the answering of queries, on the occasion of subscription, registration or completion of any online data form.
EL JARDIN DEL CABO reserves the right to modify this Privacy Policy to keep it adapted to current legislation on data protection. In such cases, EL JARDIN DEL CABO will announce the changes introduced on this website with reasonable notice before their implementation.
Visiting this website does not imply that the user is obliged to provide any information about it. In the event that the user provides any personal information, the data collected on this website will be treated fairly and lawfully, subject at all times to the principles and rights contained in Regulation (EU) 2016/679 of the European Parliament and of the Council of April 27, 2016 (RGPD) and in the current Spanish regulations on the protection of personal data.
In accordance with Article 13 of Regulation (EU) 2016/679 of the European Parliament and of the Council of April 27, 2016 (RGPD) and Article 11 of Organic Law 3/2018, of December 5, on the Protection of Personal Data and guarantee of digital rights, we inform you that the data provided by you will become part of a treatment system for which EL JARDIN DEL CABO is responsible. DATA CONTROLLER
Name: EL JARDIN DEL CABO (PASTOR MONLLOR S.L.)
Address: Ctra. C.802, Polígono 1 Parcela 11, CP 03430 Onil (Alicante)
Email: info@eljardindelcabo.es
Website: http://www.eljardindelcabo.es
Telephone: 660007981
NIF: B53707386
2. DATA PROCESSING
2.1. Data processing in which EL JARDIN DEL CABO acts as data controller with respect to the data of the users of the website http://www.eljardindelcabo.es/.
Pursuant to Article 13 and 14 of Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 (GDPR) and Article 11 of Organic Law 3/2018, of 5 December, on the Protection of Personal Data and the Guarantee of Digital Rights, we inform you that the data provided by you will become part of a processing system for which EL JARDIN DEL CABO is responsible:
PROCESSING: MANAGEMENT OF THE WEBSITE http://www.eljardindelcabo.es/
PURPOSE OF PROCESSING:
Manage requests, management and maintenance of users for the purposes of the services offered on the website
Customer support
CATEGORY OF DATA:
Identifying data of natural person users
Identifying data of company users: the processing of your data as a representative/user of a company is processed by us for the sole purpose of maintaining relations commercial, contractual that EL JARDIN DEL CABO maintains with the company, entity or organization for which you work or collaborate.
CONSERVATION:
Term legally provided for to comply with legal obligations and the period of liability
LEGAL BASIS FOR THE TREATMENT:
Application at the request of the interested party of pre-contractual measures (Art. 6.1.b. RGPD)
Compliance with a contract (Art. 6.1.b. RGPD)
Express consent (Art. 6.1.a. RGPD)
RECIPIENTS OF TRANSFERS:
Not foreseen
DATA PROCESSORS:
Web hosting provider: DINAHOSTING, S.L.
Email hosting: DINAHOSTING, S.L.
Web maintenance and computer maintenance: PRIMICIAESTUDIO.
Corporate email service provider: Google
INTERNATIONAL TRANSFER:
Email service provider: GOOGLE CLOUD EMEA LIMITED regarding the use of Google Workspace services transfers data to Google LLC.
ORIGIN OF THE DATA:
The interested party or his legal representative
2. PURPOSE OF THE PROCESSING:
To offer a communication channel between the user and EL JARDIN DEL CABO.
Advertising, marketing
ting online, commercial, direct marketing…
Creation and maintenance of a community of friends, fans… through SOCIAL MEDIA
Profile analysis through cookies
Information, promotion and dissemination of EL JARDIN DEL CABO activities through publication in electronic media (website, blogs, social networks…) of recordings, photographs….
DATA CATEGORY:
User data, identification and contact data.
User data in the social network environment
Cookies (See Cookies Policy), website visit data.
Images of physical persons accessory to the floral arrangements as attendees captured at events in which EL JARDIN DEL CABO has participated.
CONSERVATION:
As long as the validity of the consent is maintained, that is, as long as you do not withdraw your consent or as long as its deletion is not requested or you do not oppose the treatment.
The data provided on the corresponding social network will remain accessible to us as long as you keep the “follow” or “like” button active and when you want to stop following EL JARDIN DEL CABO, you will only have to click on “stop following” or “no longer like”.
LEGAL BASIS FOR PROCESSING:
Legitimate interest (Art 6.1.f.. RGPD)
Express consent (Art 6.1.a. RGPD). The follower, friend… consents to the processing of personal data that is available in their social profile, exclusively for said purpose and only in the environment of each social network in accordance with their use and privacy policies.
RECIPIENTS OF TRANSFERS:
The publication of data on the website implies the transfer of data.
Provider of web analytics services, online presence, positioning, internet advertising, online marketing, email: Google Ireland Limited (Google Analytics, Google Maps…) within its company profile on Google transfers data to Google. This transfer is governed by the Terms of Data Protection between Data Processors of Google.
Transfer to joint controllers of RRSS processing will be carried out based on your consent: SOCIAL MEDIA/SOCIAL NETWORKS providers:
Google Ireland Limited (You Tube)
Meta Platforms Ireland Limited (Facebook and Instagram).
DATA PROCESSORS:
Web hosting provider: DINAHOSTING, S.L.
Email hosting: DINAHOSTING, S.L.
Website maintenance and IT maintenance: PRIMICIAESTUDIO.
Corporate email service provider: Google
Instant messaging service: WhatsApp business (WhatsApp Ireland Limited, EL JARDIN DEL CABO’s data processor, transfers Data from Europe to WhatsApp LLC and Facebook Inc., and such data may also be subsequently transferred to other WhatsApp Subprocessors).
INTERNATIONAL TRANSFER: (+info see section 7)
a) Provider of web analytics, online presence, positioning, internet advertising, online marketing services: Google Ireland Limited transfers data to Google LLC on a CCT basis.
b) Email service provider: GOOGLE CLOUD EMEA LIMITED transfers data to Google LLC regarding the use of Google Workspace services.
c) SOCIAL MEDIA/SOCIAL NETWORKS providers: they process data in the USA and other countries, there is currently no adequate level of protection for data transfers to the USA. As a safeguard, they use standard contractual clauses approved by the EU Commission (= Art. 46. para. 2 and 3 GDPR) and adequacy decisions of the European Commission on certain countries, as applicable, regarding the transfer of data from the EEA to the USA and other countries.
Meta Platforms Ireland Limited transfers data to Meta Platforms, Inc. in the USA and other countries, based on adequacy decisions of the European Commission on certain countries or the (Facebook and Instagram).
d) Instant messaging provider Whatsapp business: WhatsApp Ireland transfers data from Europe to WhatsApp LLC and Facebook Inc. in accordance with contractual clauses.
DATA ORIGIN:
The data subject or his representative, Google, Cookie providers, SOCIAL MEDIA/SOCIAL NETWORKS providers, instant messaging provider.
3. PURPOSE OF PROCESSING:
Provide access to content, apply measures aimed at web security…
CATEGORY OF DATA:
a) Web user data (IP, ID. log…)
b) Data collected by Google recaptcha: hardware and software information, such as device and application data, and sending it to Google for analysis.
CONSERVATION:
For the time necessary to provide access to content, apply measures aimed at web security…
LEGAL BASIS FOR PROCESSING:
Legitimate interest to manage the services offered through the Web. (Art 6.1.f. RGPD) and express consent in the case of Google recaptcha cookies (Art 6.1.a. RGPD)
RECIPIENTS OF TRANSFERS:
Antispam-seg web provider: Google reCAPTCHA v3
from Google LLC
DATA PROCESSORS:
Web hosting provider: DINAHOSTING, S.L.
Email hosting: DINAHOSTING, S.L.
Web maintenance and IT maintenance: PRIMICIAESTUDIO.
INTERNATIONAL TRANSFER: (+info see section 7)
Antispam-web security provider: Google LLC. (see section 7. INTERNATIONAL TRANSFERS)
DATA ORIGIN:
The interested party or their legal representative, Google LLC
4. PURPOSE OF THE PROCESSING:
Compliance with regulations on personal data protection (RGPD), electronic commerce (LSSI) and Cookies (LSSI), consumers and users (LGDDCU and related regulations). Compliance with governance policies (Transparency…).
DATA CATEGORY:
Data related to compliance with the LOPD/RGPD regulations, LSSI (RGPD consents, data related to the exercise of rights of affected parties…), LGDDCU and related regulations.
Doubts, questions, complaints or claims about regulatory compliance…
CONSERVATION:
Legally established period to comply with legal obligations and the period of responsibility.
LEGAL BASIS FOR PROCESSING:
Regulatory compliance (Art 6.1.c. RGPD)
RECIPIENTS OF TRANSFERS:
Public administration in case of request, Judges and Courts, interveners in the process in case of a claim for reasons of regulatory compliance.
DATA PROCESSORS:
Web maintenance and computer maintenance: PRIMICIAESTUDIO.
Personal data protection regulatory compliance services: ADMINDATOS-GPS,S.L.
INTERNATIONAL TRANSFER:
Not foreseen
ORIGIN OF THE DATA:
The interested party or his legal representative, administration with competence in the matter…
EL JARDIN DEL CABO does not process any data of minors.
In the event that the user is incapacitated, EL JARDIN DEL CABO advises that the consented assistance of the holder of the parental authority or guardianship of the user or his legal representative will be necessary for access and use of the official EL JARDIN DEL CABO website – http://www.eljardindelcabo.es , EL JARDIN DEL CABO is free from any liability that may arise from the use of its official website by minors and incapacitated persons, said responsibility being that of their legal representatives in each case.
Special categories of data: The sending of data containing information that is not relevant or necessary for the purposes of the website is not permitted. In particular, it is strictly prohibited to send information (through the communication channels offered in the environment of the website (e.g. contact form…) or the contact email info@eljardindelcabo.es, or any other emails that EL JARDIN DEL CABO offers as a contact to the users of this website) that contains special categories of data within the meaning of article 9 GDPR Regulation (EU) 2016/679 of the European Parliament and of the Council of April 27, 2016 and Article 9 of Organic Law 3/2018, of December 5, on the Protection of Personal Data and guarantee of digital rights (data relating to political opinions, union membership, religious beliefs, philosophical beliefs, racial or ethnic origin, data relating to health, sexual life, genetic data, biometric data, sexual orientation) or article 10 GDPR and Article 10 LOPD 3/2018 regarding criminal offences, nor those that offer location data, financial data or data that are very personal or any data that exceeds the contact data necessary to request information, resolve doubts regarding the services offered by EL JARDIN DEL CABO.
All our forms have the symbol * in the mandatory data. If you do not fill in these fields, or do not check the checkboxes for acceptance of the different uses of your data in our privacy policy, the sending of the information will not be allowed.
The website http://www.eljardindelcabo.es does not make automated decisions.
3. RIGHTS AND EXERCISE OF RIGHTS
In accordance with the provisions of articles 7.3, 13 and 14, 15 to 22 and 77 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 and Articles 11, 12 to 18, 63, 94 and 95 of Organic Law 3/2018, of 5 December, on the Protection of Personal Data and the Guarantee of Digital Rights, you may exercise the rights detailed below by sending a letter to the following address: EL JARDIN DEL CABO, with registered office at Ctra. C.802, Polígono 1 Parcela 11, CP 03430 Onil (Alicante) or in person at our headquarters. proving your identity or electronically proving your identity, at the address info@eljardindelcabo.es.
EL JARDIN DEL CABO informs the user that he has the following rights derived from the applicable regulations:
Right
to be informed (Article 13 GDPR and Article 11 LOPD 3/2018) The data controller must inform the data subject at the time of obtaining the data of the identity of the controller, the purpose of the processing, legitimacy, retention periods, recipients, intention to carry out or not international transfers, existence and procedure for exercising the rights of the data subject and the existence or not of automated decisions, including the creation of profiles.
Right of access (Article 15 GDPR and Article 13 LOPD 3/2018): allows the data subject to obtain information on whether EL JARDIN DEL CABO is processing personal data that concerns him or her or not and, if so, the right to obtain information on his or her personal data that is being processed.
Right of rectification (Article 16 GDPR and Article 14 LOPD 3/2018): allows errors to be corrected and inaccurate or incomplete data to be modified.
Right to erasure (Article 17 GDPR and Article 15 LOPD 3/2018): allows data to be deleted and no longer processed by EL JARDIN DEL CABO, unless there is a legal obligation to retain it and/or there are no other legitimate reasons for its processing.
Right to limitation (Article 18 GDPR and Article 16 LOPD 3/2018): under the conditions established by law (a) the interested party contests the accuracy of the personal data, for a period that allows the controller to verify the accuracy of the same; b) the processing is unlawful and the interested party opposes the deletion of the personal data and requests instead the limitation of its use; c) the controller no longer needs the personal data for the purposes of the processing, but the interested party needs them for the formulation, exercise or defense of claims; (d) the interested party has opposed the processing pursuant to Article 21, paragraph 1, pending verification of whether the legitimate reasons of the controller prevail over those of the interested party), allows the processing of data to cease, in such a way as to prevent its processing by EL JARDIN DEL CABO in the future. When the limitation is exercised by the interested party, EL JARDIN DEL CABO will only retain them for the exercise or defense of claims.
Right to portability (Article 20 GDPR and Article 17 LOPD 3/2018): allows the interested party to receive their personal data and to be able to transmit them directly to another controller in a structured, commonly used and machine-readable format.
Right to object (Article 21 GDPR and Article 18 LOPD 3/2018): in certain circumstances and for reasons related to their particular situation, interested parties may object to the processing of their data. EL JARDIN DEL CABO will stop processing the data, except for compelling legitimate reasons, or the exercise or defense of possible claims. Right not to be subject to automated decisions that produce legal effects (Article 22 GDPR and Article 18 LOPD 3/2018):
You are informed that the processing of your data for the purposes indicated will not imply the application by EL JARDIN DEL CABO of automated decisions that produce legal effects for the interested party
SENDING OF INFORMATIVE COMMUNICATIONS
Regarding the sending of informative communications via e-mail or other equivalent electronic means of communication, given that the user’s e-mail address is personal data when it allows them to be identified, by collecting it in the online data form the user expressly authorizes EL JARDIN DEL CABO to process it for the sending of commercial or promotional communications concerning the products or services provided by this data controller. These communications will be preceded by the word advertising at the beginning of the message and will clearly identify EL JARDIN DEL CABO. However, you may revoke your consent to receive informational communications at any time (e.g. if, during registration or later, you subscribed to a newsletter or other advertising material) by simply notifying us at our email address (info@eljardindelcabo.es) or by calling 660007981.
4. SECURITY MEASURES
EL JARDIN DEL CABO adopts the appropriate technical and organizational measures to maintain the confidentiality of your personal data. We use various security procedures, taking into account industry standards, to try to protect the personal information you provide us and prevent unauthorized access. Our internal procedures include security measures in the storage and use of data by service providers in charge of processing it.
Access to the digital platforms through which the USER of the website contracts products or services from EL JARDIN DEL CABO is carried out in a secure environment. The user can verify that they are within a secure environment.
by the “url” address listed in properties (by right-clicking on the page). This “url” address begins with “https”, where the “s” identifies that the content is being offered by a secure server.
5. RECIPIENTS (OF INTERNATIONAL DATA TRANSFERS OR ASSIGNMENTS)
Third-party websites and third-party information collection:
FACEBOOK/INSTAGRAM: the website http://www.eljardindelcabo.es includes a facebook.com plugin and an Instagram plugin, both of which are managed by META, 1601 S. California Ave, Palo Alto, CA 94304, USA. Facebook Ireland Limited, Hanover Reach, 5-7 Hanover Quay, Dublin 2, Ireland is responsible for Facebook.com in Europe. Plugins are usually identified by a Facebook logo. Please visit Facebook’s Privacy Policy
GOOGLE MAPS: On our website we use Google Maps (API) from Google LLC, 1600 Amphitheatre Parkway, Mountain View, CA 94043, USA (“Google”). Google Maps is a web service for displaying interactive (country) maps in order to visually display geographic information. This service will show you our location and make it easier for you to find us. When you access subpages containing the Google Maps map, information about your use of our website (such as your IP address) is transmitted by Google to and stored by Google on servers in the United States, regardless of whether or not you have a Google user account with which you are logged in. If you are logged in to Google, your information will be directly associated with your account. If you do not wish to be associated with your profile on Google, you must log out before clicking the button. Google will save your data (even if you are not logged in) as usage profiles and will evaluate them. This evaluation will be carried out in particular in accordance with Art. 6 (1) (f) GDPR on the basis of Google’s legitimate interests in the insertion of personalized advertising, market research and/or demand-oriented design of its website. You have the right to object to the creation of these user profiles. To exercise this right, you must contact Google. If you do not agree to the future transmission of your data to Google in the context of the use of Google Maps, you can also completely disable the Google Maps web service by disabling the JavaScript application in your browser. This will prevent the use of Google Maps and therefore the display of the map on the website. You can view Google’s Terms of Service at http://www.google.es/intl/es/policies/terms/regional.html. Additional terms of service for Google Maps can be found at https://www.google.com/intl/es_US/help/terms_maps.html. Detailed information on data protection in connection with the use of Google Maps can be found on the Google website (“Google Privacy Policy”): http://www.google.de/intl/es/policies/privacy/
COOKIE PROVIDERS
– Google reCAPTCHA v3 by Google LLC (1600 Amphitheatre Parkway, Mountain View, CA 94043, USA; “Google”): Service provided for the purpose of preventing spam and abuse on our website. The reCAPTCHA v3 API collects hardware and software information, such as device and application data, and sends it to Google for analysis. The information collected in connection with your use of the service is used for general security purposes and to improve reCAPTCHA. The question is used to distinguish whether the input is made by a person or by automated machine processing. The question includes the submission of the IP address and, if applicable, any additional data required by Google for its reCAPTCHA service. By checking a manual entry, this service prevents automated software (so-called bots) from abusing the website. The use of reCAPTCHA is legitimised on the basis of Article 6.1.f) GDPR, our legitimate interests in protecting our website from misuse.
The information is transferred to Google servers in the USA and stored there, based on standard data protection clauses with Google LLC, issued by the European Commission in this regard, to ensure an adequate level of data protection for the transfer of data to third countries.
Google reCAPTCHA uses a code embedded in the website, called JavaScript, as part of the verification methods that allow an analysis of the use of the website by you, such as cookies. The automatically collected information about the use of this website, including your IP address, is generally transferred to a Google server in the USA and stored there. In addition, other cookies stored in your browser by Google services are also evaluated by Google reCAPTCHA.
Personal data is not read or saved in the fields
:Enter the relevant form. For more information on Google’s privacy policy, please visit www.google.com/policies/privacy/.
You may refuse the collection of data generated by JavaScript or cookies and related to your use of the website (including your IP address) by selecting the appropriate settings on your browser, however please note that if you do this you may not be able to use all the functionalities of this website. You can find more information about Google’s reCAPTCHA service and its corresponding privacy statement at https://policies.google.com/technologies/ads?hl=en. You can find more about Google’s privacy policy and terms of service, as well as the conditions of use of Google APIs, Google’s terms of use. You can find more information about reCAPTCHA on the page at https://developers.google.com/recaptcha/.
GOOGLE ANALYTICS: Installs GOOGLE ANALYTICS Cookies. This is a web analytics service provided by Google LLC., a Delaware company whose main office is at 1600 Amphitheatre Parkway, Mountain View (California), CA 94043, United States. The trace of the visits will be processed by Google on our behalf for the purpose of tracking the use of the website, compiling reports on website activity and providing other services related to website activity and Internet use. Google Analytics records the IP address of users who visit the website so that its owner knows from what points on the planet the site is being visited. This method is called “IP geolocation”. Google Analytics does not provide its clients with information about the actual IP address. The processing of personal data carried out by Google Analytics is the responsibility of PASTOR MONLLOR, S.L. If you wish to consult the conditions of use of Google Analytics, click here.
The owner of a website that uses Google Analytics controls the information that Google can use. Google Analytics would also transfer data to Google Analytics. Google will process the data in accordance with its general privacy policy and the specific Google Analytics policy. transfer that you consent to. For those users who do not want data transfer to be made, Google Analytics has developed a Google Analytics opt-out browser add-on so that you have the possibility of preventing Google Analytics from collecting and using your data (this add-on does not prevent information from being sent to the website itself or to other web analytics services). If you wish to install the add-on, click here.
Google may transmit said information to third parties when required to do so by law, or when said third parties process the information on behalf of Google. Thus, Google subcontracts with its Google Inc. suppliers parts of the service in which the processing of our data may be affected, needing access to the data to provide services to Google Inc, always under a contract that guarantees the confidentiality and security of the data. 6. DATA PROCESSORS
EL JARDIN DEL CABO has subcontracted some services for the development of its activity. For this purpose, some of the external service providers with access to data have the status of data processors:
PASTOR MONLLOR S.L. –EL JARDIN DEL CABO has subcontracted some services for the development of its activity. For this purpose, some of the external service providers with access to data have the status of data processors:
-PASTOR MONLLOR S.L. –EL JARDIN DEL CABO has its website hosted in the cloud. The web hosting provider is Dinahosting SL. If you wish, you can consult its privacy policy here. This service provider has its headquarters in a country of the European Union or the European Economic Area. -The website offers contact through the sending of emails, for such purposes we inform you that our email provider is Dinahosting SL (if you wish, you can consult their privacy policy here) and Google Ireland limited and sub-processor Google LLC. (if you wish, you can consult their privacy policy).
-The company PRIMICIAESTUDIO is responsible for the maintenance of the website, web positioning/SEO and community manager (if you wish, you can consult their privacy policy).
The data processing manager contracts have been signed in the terms established by Article 28 of the RGPD and Chapter II of Title V of the LOPD 3/2018 (Article 33).
7. SOCIAL NETWORKS
EL JARDIN DEL CABO considers that you consent to the processing of your data in the social network environment:
1. If you become a fan or follower of EL JARDIN DEL CABO on its social network pages/channels/groups. 2. Or if you click on any of the social media widgets found in the top right corner of the page http://www.eljardindelcabo.es.
The user, by becoming a fan or follower of EL JARDIN DEL CABO on its Facebook or Instagram social media pages (services provided by Meta), is consenting to:
-The processing of their personal data in the environment of that specific social network in accordance with its own privacy policy.
Access to the data that the user has allowed us to view, in accordance with their own privacy settings; and
EL JARDIN DEL CABO informs you that it holds the status of data controller without prejudice to the processing of data for which each of the social networks in which you have freely registered/subscribed/affiliated is responsible.
EL JARDIN DEL CABO has no responsibility for the processing and subsequent use of personal data that may be carried out by social networks or by third-party information society service providers.
EL JARDIN DEL CABO will only process the personal data of users who freely and voluntarily provide it through the privacy settings of their profile on each of the social networks.
Every user of this page declares that they are voluntarily and expressly consent to the processing of their data by EL JARDIN DEL CABO, as well as to their name and profile photo being displayed on the list of fans of this EL JARDIN DEL CABO corporate social network page.
In any case, EL JARDIN DEL CABO informs you of the processing it carries out in the environment of its SOCIAL MEDIA (Facebook and Instagram social network pages):
-Access to public information on the profile.
-Sending personal and individual messages through the channels of each of the social networks.
-The updates to the page that will be published on the User’s profile.
-Publication on the User’s profile of all information already published on the corporate social network pages.
The data controller is not responsible for the comments posted by its users on any of its corporate SOCIAL MEDIA pages, and is exempt from any legal liability that may arise from them.
Users are responsible for the veracity, authenticity and updating of the information and data sent to EL JARDIN DEL CABO.
When personal data is published (e.g. user name and profile image of fans/followers, etc.) on EL JARDIN DEL CABO’s social network pages, this implies that they may be transferred to other visitors to the same, users of the social network, the person responsible for the social network, and may even become accessible from search engines. The user consents to such transfers by becoming a user of the same.
By becoming a user, the user also consents to the data controller’s access to the data contained in the user list. The user allows EL JARDIN DEL CABO access to the data contained in the social network that it allows as a corporate profile, relating to profile information and to those generated by the use or intervention within our page. The user also agrees that the information, news or comments that we publish appear in the section of the social network enabled by it, to receive news by actively participating in our page.
The responsibility for the rest of the personal data that visitors to our corporate SOCIAL MEDIA pages may access depends on the privacy settings that each user has established in their personal profile, which is why EL JARDIN DEL CABO recommends a special duty of care to its users for the personal data (including images and videos) that they show in their profile. The Spanish Data Protection Agency has understood in its latest resolutions that publishing openly, that is, making a public comment or for everyone, entails the application of the Data Protection regulations to the user or fan, so that EL JARDIN DEL CABO asks its fans that when publishing, commenting, tagging … on its SOCIAL MEDIA pages of EL JARDIN DEL CABO and the publication, comment, tagging entails the processing of personal data, do not opt for the privacy configuration “public”, and in any case that the person who publishes, comments or tags another person / user / fan has their consent and can prove it, otherwise EL JARDIN DEL CABO asks its fans not to publish, comment, tag anything that would be subject to the processing of personal data. The publication of videos or photographs of third parties without their consent may infringe their right to honor, privacy or self-image, rights whose protection is governed by the provisions of the Organic Law 1/1982, of May 5, on civil protection of the right to honor, personal and family privacy and one’s own image, so that it is prohibited to upload, host, store, publish, share… any content that may be considered a violation of the same.
It is also prohibited to use EL JARDIN DEL CABO’s SOCIAL MEDIA to upload, host, store, publish, share… any content that may violate current regulations (Criminal Code, intellectual property, industrial property, disclosure of secrets, regulations on data protection, privacy, new technology law…).
It is expressly prohibited to reproduce, share, distribute, communicate… within or outside the SOCIAL MEDIA pages under the responsibility of EL JARDIN DEL CABO on Facebook, Instagram photographs or images that have been made available by other users of the SOCIAL MEDIA pages under the responsibility of EL JARDIN DEL CABO.
The EL JARDIN DEL CABO community manager reserves the right to make the final decision to publish messages, images or videos sent by fans or to delete those published messages that it considers are not in accordance with EL JARDIN DEL CABO’s policy.
The data controller will not process or extract the email of the contacts of EL JARDIN DEL CABO fans/friends/followers even if they have activated the option “I allow my friends to get my email” because the data controller does not have their express consent.
Regarding tagging: if you do not want to be tagged without your consent, EL JARDIN DEL CABO recommends that you follow the following itinerary: “Account” (top right), select “Privacy settings”, click on “Customize settings”, click on “Things others share” and in “Suggest me for tags on my friends’ photos” which is activated by default, select the option “Function disabled”.
You are not permitted to send unsolicited mass and/or repetitive emails to a plurality of people, or to send email addresses of third parties without their consent. You may not use EL JARDIN DEL CABO’s SOCIAL MEDIA to send advertising or commercial communications, to send messages for advertising purposes or to collect data for the same purpose.
No user may impersonate a third party for any purpose, i.e. use the identity of another person and communicate their personal data. The user may only provide personal data corresponding to their own identity.
In order to increase the protection of your data when you visit our website, the links are static links that are integrated through a project called “Shariff”. This prevents your data from being sent to social networks when you visit our website. Contact is only established between you and the social network when you actively click on the button.
By becoming a user, you also consent to the data controller accessing the data contained in the user list. The user allows EL JARDIN DEL CABO access to the data contained in the social network that it allows as a corporate profile, relating to the profile information and to those generated by the use or intervention within our page. The user also agrees that the information, news or comments that we publish appear in the section of the social network enabled by it, to receive news by actively participating in our page.
Being a user of our social network pages implies the international transfer of your data to Facebook Inc. and Instagram, in the U.S. (See section 8)
In order to increase the protection of your data when you visit our website, the links are static links that are integrated through a project called “Shariff”. This prevents your data from being sent to social networks when you visit our website. Contact is only established between you and the social network when you actively click on the button.
Facebook: In order to enable targeted marketing for user groups on social networks, tracking from the social media service Facebook Inc. is integrated into this website by means of a pixel. When you visit our website, the pixel is loaded from your web browser. Information is sent to Facebook. This concerns, among other things, information about whether Facebook cookies are set in your browser. This information is used to assign the browser session to a person. This assignment takes place pseudonymously using a Facebook ID only, so that we do not obtain any personal reference.
You can object to behavioural advertising at http://optout.aboutads.info/?c=2#!/. If you tick the box below, you will be asked to opt out.
If you check this box, an opt-out cookie will be set in your browser.
Joint controller privacy statement: FACEBOOK PIXEL
EL JARDIN DEL CABO has a Facebook page. This service is provided by Facebook Ireland Limited (META).
We have an agreement with Facebook (Controller Addendum) on joint data processing. This agreement stipulates which data we process and which Facebook processes each time you visit our Facebook page. You can read this agreement by clicking on the following link: https://www.facebook.com/legal/terms/page_controller_addendum. In relation to Statistics, we only receive anonymous statistics, therefore we do not have access to personal data that is being processed by Facebook.
You can adjust your advertising settings yourself in your user account. To do so, click on the following link and log in: https://www.facebook.com/settings?tab=ads.
https://www.facebook.com/legal/controller_addendum.
Facebook processes user data for the following purposes:
• Advertising (analysis, creation of personalized advertising)
• Creation of user profiles
• Market research.
In order to store and further process this information, Facebook uses cookies, which are small text files that are stored on the various terminal devices of users. If the user has a Facebook profile and is logged in to it, these are also stored and analyzed on all devices.
Facebook’s data protection declaration contains further information on data processing:
We can access statistical data of various categories via so-called “insights” on the Facebook page. These statistics are generated and made available to us by Facebook. As the operator of the page, we have no influence on the generation and presentation. We cannot stop this function or prevent the generation and processing of data. For a selectable period and for the respective categories of fans, subscribers, people reached and people interacting, we receive the following data from Facebook, related to our Facebook page:
Total number of times the page was accessed, “Like” details, page activities, post interaction, rank, video views, post rank, comments, shared content, replies, percentage of men and women, origin based on country and city, language, calls and clicks on the shop, clicks on the route planner, clicks on telephone numbers. In addition, this method is also used to provide data on the Facebook groups linked to our Facebook page.
8. INTERNATIONAL DATA TRANSFERS
Data processing is generally carried out by service providers located within the European Economic Area or in countries that have been declared to have an adequate level of protection.
In other cases where data is transferred to the US and other countries outside the EEA, we guarantee the security and legitimacy of data processing by requiring our suppliers to have Binding Corporate Rules, which guarantee the protection of information in a manner similar to those established by European regulations or to subscribe to the standard contractual clauses approved by the European Commission, or for the transfer to be covered by adequacy decisions of the European Commission on certain countries.
Facebook and Instagram (Meta Platforms Ireland Limited) based in Ireland transfer data to Meta Platforms, Inc. based in the United States: Your data is stored in the United States, Ireland and other countries in which it operates. Facebook and Instagram (Meta Platforms Ireland Limited) and ASOCIACIÓN DE COMERCIANTES DEL MUNICIPIO DE ORIHUELA (ACMO) are data controllers, the purpose of the international data transfer is commercial. Facebook uses different mechanisms to transfer your data:
European Commission decisions recognizing that certain countries and territories outside the European Economic Area guarantee personal information
Meta Platforms, Inc. has certified its participation in the EU-US Data Privacy Framework.
The standard contractual clauses approved by the European Commission.
Additional measures that we apply to transfer your information securely.
Whatsapp business: Our instant messaging provider is Whatsapp business makes international data transfers that are necessary to provide the Services stipulated in our Conditions, as well as to operate worldwide and provide you with our Services. WhatsApp Ireland Limited transfers data to WhatsApp LLC and Facebook Inc. They are based on standard contractual clauses approved by the European Commission, and it is possible that in the adequacy decisions of this body on
re certain countries, as applicable, in connection with data transfers from the European Economic Area to the United States and other countries.
Google reCAPTCHA, ANALYTICS, MAPS: Google processes data in the United States, among other places, there is currently no adequate level of protection for data transfers to the United States. Google uses standard contractual clauses approved by the EU Commission (= Art. 46. para. 2 and 3 GDPR) as a basis for processing data at recipients located in third countries (outside the European Union, Iceland, Liechtenstein, Norway). These clauses oblige Google to comply with the EU level of data protection when processing relevant data outside the EU. These clauses are based on an implementing decision of the European Commission. You can find the decision and the clauses here, among other places: https://ec.europa.eu/germany/news/20210604-datentransfers-eu_de.
Google workspace: The legality of the transfer to other countries is based on a Data Processing Agreement between Google and EL JARDIN DEL CABO that includes EU Standard Contractual Clauses and European Commission adequacy decisions on certain countries, as applicable, regarding the transfer of data from the EEA to other countries. Regarding international data transfers to the U.S. Google LLC has certification under the Data Privacy Framework of the United States Department of Commerce. The service provider Google Cloud EMEA Limited (with respect to Google workspace) may process data in any country where Google (Google LLC) or its Subprocessors maintain facilities. This implies that international data transfers are made to the U.S. and other countries.
The legality of its international data transfers to the U.S. is based on certification under the Data Privacy Framework of the United States Department of Commerce.
The legality of the transfer to other countries is based on a Data Processing Agreement signed between Google and EL JARDIN DEL CABO that includes EU Standard Contractual Clauses and adequacy decisions of the European Commission on certain countries, as applicable, regarding the transfer of data from the EEA to other countries
9. COOKIES
Regarding the information required regarding the requirements for informed consent for the use of cookies in the terms of Article 22.2 of Law 34/2002, on Information Society Services and Electronic Commerce (LSSI) in relation to Article 13 RGPD and Article 11 of LOPD 3/2018, it is offered in the Cookies Policy and in the banner that appears when loading the website. EL JARDIN DEL CABO informs you that http://www.eljardindelcabo.es/ installs different types of cookies on your device that are strictly necessary for the operation of this page. It is not necessary to obtain your consent for their use as they are excluded from the scope of application of article 22.2 of Law 34/2002, of July 11, on information society services and electronic commerce. For all other types of cookies we need your permission. The user who browses the website http://www.eljardindelcabo.es/ will be subject to profile analysis through the monitoring of their browsing habits. Some cookies are placed by third-party services that appear on our pages.
When you visit our website for the first time, we will show you a pop-up with an explanation about cookies. As soon as you click “Accept”, you agree that we use the categories of cookies and plugins that you have selected in the pop-up, as described in this cookie policy. You can refuse the use of cookies by clicking on deny. You can disable the use of cookies through your browser, but please note that our website may stop working properly. You can also manage your consent settings in section 7.1. of our Cookie Policy.
To comply with the cookie regulations we use the Cookieyes tool
UPDATES
This privacy policy came into effect on 11/11/2024.
No products in the basket.