Please add some widget in Offcanvs Sidebar
between
Customer
hereinafter referred to as the “Controller”
and
Brigantina Group s.r.o.
IČO: 24719412
Zdiměřická 2403/12,
Prague, Czech Republic
hereinafter referred to as the “Processor”
The Controller has selected the Processor to act as a service provider in accordance with Art. 28 of Regulation (EU) 2016/679 on the protection of natural persons with regard to the processing of personal data and on the free movement of such data, and repealing Directive 95/46/EC (General Data Protection Regulation, “GDPR”).
This Data Processing Agreement, including all Annexes (hereinafter referred to collectively as the “Agreement”), specifies the data protection obligations of the parties from the underlying Principal Agreement, the Contract for paid services and/or the order descriptions (hereinafter referred to collectively as the “Principal Agreement”).
The Processor guarantees the Controller that it will fulfil the Principal Agreement and this Agreement in accordance with the following terms:
The nature and purpose of the processing of personal data by the Processor is specified in the Principal Agreement. The Principal Agreement includes the following activities and purposes:
The person responsible shall provide the processor with selected data in accordance with § 5 of this agreement. The contract Processor uses this customer data to provide and document the training service as described in the main contract.
The categories of individuals affected by the processing of personal data under this Agreement (“data subjects”) include:
Students who have been authorized by the Controller to use the service, provided they are natural persons.
The following types of personal data shall be processed under this Agreement:
The Processor shall process personal data exclusively in accordance with this Agreement and/or the underlying Principal Agreement and in accordance with the Controller’s instructions.
2. Data subjects’ rights
3. Monitoring duties
4. Information duties
5. Location of processing
The processing of the data shall in principle take place in the territory of the Czech Republic, in a member state of the European Union or in another contracting state of the Agreement on the European Economic Area. Any transfer to a third country may only take place if the special requirements of Art. 44 et seqq. GDPR are fulfilled.
6. Deletion of personal data after order completion
After termination of the Principal Agreement, the Processor shall delete or return all the personal data processed on behalf of the Controller to the Controller after the end of the provision of services relating to processing and delete existing copies, provided that the
deletion of these data does not conflict with any statutory storage obligations of the Processor. The deletion in accordance with data protection and data security regulations must be documented and confirmed upon request to the Controller.
Annex 1 – Technical and organizational measures taken to ensure the security of processing
Annex 2 – Subprocessors pursuant to Sect. 9 of this Data Processing Agreement
Measures or operations in which a clearly legible text/information is converted into an illegible, i.e. not easily interpreted, character string (secret text) by means of an encryption method (cryptosystem).
Description of the encryption measure:
Symmetrical/asymmetrical encryption of connections between participant clients and servers and between servers.
2.Physical access controlMeasures that physically deny unauthorized persons access to IT systems and data processing equipment used to process personal data, as well as to confidential files and data storage media.
Description of physical access control:
No unauthorized access to data processing systems via electronic keyfob door openers.
3.Logical access controlMeasures to prevent unauthorized persons from processing or using data which is protected by data privacy laws.
Description of logical access control system:
No unauthorized system use via secure passwords, automatic computer locking mechanisms, and encryption of data carriers.
4. Data access controlMeasures to ensure that persons authorized to use data processing systems can only access personal data according to their access rights, so that data cannot be read, copied, changed or removed without authorization during processing, use and storage.
Description of data access control:
No unauthorized reading, copying, modification or removal within the system, via an authorization concepts and on-demand access rights, a clean desk policy and automatic locking of computers in absentia.
5.Separation ruleMeasures to ensure that data collected for different purposes are processed separately and separated from other data and systems in such a way as to preclude the unplanned use of such data for other purposes.
Description of the separation control process:
Separate processing of data collected for different purposes via an authorization concept, a software-based customer separation and a separation of test and production systems.
6.Transmission controlMeasures to ensure that it is possible to verify and establish to which bodies personal data may be or have been transmitted or made available using data communication equipment.
Description of transmission control:
No unauthorized reading, copying, modification or removal during electronic transmission or transport via encryption.
7.Availability controlMeasures to ensure that personal data are protected against accidental destruction or loss. Description of the availability control system:
Hosting and data backup procedure.
The Processor currently works with the following subcontractors and the Controller hereby agrees to their appointment.
3NТ SОLUТIОNS LLР | 22 Brоndеsbury Pаrk, Willesden, London NW6 7DL | Website hosting and data storage of course and participants |
Zoho Corporation B.V. | Beneluxlaan 4B 3527 HT UTRECHT The Netherlands | Customer service via email, transactions emails |