Personal data protection policy
The ITeC, responsible for processing the personal data of its website users, hereby informs the users of its website of its policy regarding the processing and protection of the personal data of its users and clients which may be gathered as a result of the navigation or the contracting of services through its website.
Collection, purpose and processing of data
The personal data required in the forms included on the website will be processed in compliance with the data protection law and included in a file owned by the “Instituto de Tecnología de la Construcción de Cataluña” (The Catalonia Institute of Construction Technology).
Communication of information to third parties
The ITeC informs its users that their personal data will not be given to third party organizations, with the exception that such granting is within the framework of a legal obligation or when it is necessary to offer a service related to the sending of emails containing information of products and/or services offered, solely and exclusively, by ITeC. These organizations may not use or share this information under any circumstances.
Likewise, regarding our clients, the data shall be granted to transportation or courier companies responsible for delivering products or documents.
EU Regulation 2016/679 of the European Parliament and Council dated 27 April 2016 (GDPR) grants the data subjects the possibility to exercise a series of rights related to the processing of their personal data.
Therefore, when the data of users is object to processing by the ITeC, users may exercise their rights of access, rectification, cancellation and opposition, in accordance with the provisions of the legal regulations in force regarding the protection of personal data.
To exercise these rights, users must send a communication in writing by email to email@example.com or to the following address: Instituto de Tecnología de la Construcción de Cataluña, Wellington 19, 08018, Barcelona, for the attention of the Communications Department. The rights should be exercised by the users themselves. However, they may be exercised by an authorized person appointed as the legal representative of the authorizer. In this case, the documentation accrediting this representation of the data subject must also be provided.