Definitions
The Privacy Policy of Ad Tech Daily is based on the terms used by the European legislator for the adoption of the General Data Protection Regulation (GDPR). Our Privacy Policy should be understandable for our customers, partners and the general public. Therefore, we would like to introduce the key terms used thereafter:
1. Personal Data
Personal data means any information relating to an identified or identifiable natural person (“data subject”). An identifiable natural person is one who can be identified, directly or indirectly, in particular by reference to an identifier such as a name, an identification number, location data, an online identifier or to one or more factors specific to the physical, physiological, genetic, mental, economic, cultural or social identity of that natural person.
2. Data Subject
Data subject is any identified or identifiable natural person, whose personal data is processed by the controller responsible for the processing.
3. Processing
Processing is any operation or set of operations which is performed on personal data or on sets of personal data, whether or not by automated means, such as collection, recording, organisation, structuring, storage, adaptation or alteration, retrieval, consultation, use, disclosure by transmission, dissemination or otherwise making available, alignment or combination, restriction, erasure or destruction.
4. Restriction of Processing
Restriction of processing is the marking of stored personal data with the aim of limiting their processing in the future.
5. Profiling
Profiling means any form of automated processing of personal data consisting of the use of personal data to evaluate certain personal aspects relating to a natural person, in particular to analyse or predict aspects concerning that natural person’s performance at work, economic situation, health, personal preferences, interests, reliability, behaviour, location or movements.
6. Pseudonymisation
Pseudonymisation is the processing of personal data in such a manner that the personal data can no longer be attributed to a specific data subject without the use of additional information, provided that such additional information is kept separately and is subject to technical and organisational measures to ensure that the personal data are not attributed to an identified or identifiable natural person.
7. Controller or Controller Responsible for the Processing
Controller or controller responsible for the processing is the natural or legal person, public authority, agency or other body which, alone or jointly with others, determines the purposes and means of the processing of personal data; where the purposes and means of such processing are determined by Union or Member State law, the controller or the specific criteria for its nomination may be provided for by Union or Member State law.
8. Processor
Processor is a natural or legal person, public authority, agency or other body which processes personal data on behalf of the controller.
9. Recipient
Recipient is a natural or legal person, public authority, agency or another body, to which the personal data are disclosed, whether a third party or not. However, public authorities which may receive personal data in the framework of a particular inquiry in accordance with Union or Member State law shall not be regarded as recipients; the processing of those data by those public authorities shall be in compliance with the applicable data protection rules according to the purposes of the processing.
10. Third Party
Third party is a natural or legal person, public authority, agency or body other than the data subject, controller, processor and persons who, under the direct authority of the controller or processor, are authorised to process personal data.
11. Consent
Consent of the data subject is any freely given, specific, informed and unambiguous indication of the data subject’s wishes by which he or she, by a statement or by a clear affirmative action, signifies agreement to the processing of personal data relating to him or her.
1. Name and Address of the Controller
The Controller for the purposes of the General Data Protection Regulation (GDPR), other data protection laws applicable in Member States of the European Union and other provisions related to data protection is:
Otilia Otlacan
Ad Tech Daily
info [at] adtechdaily.com
This Privacy Policy applies to the following website(s): adtechdaily.com
2. Name and Address of the Data Protection Officer
The Data Protection Officer of the controller is:
Otilia Otlacan
info [at] adtechdaily.com
Any data subject may, at any time, contact our Data Protection Officer directly with all questions and suggestions concerning data protection.
3. Contact Possibility via the Website
The website of Ad Tech Daily contains information that enables a quick electronic contact to our enterprise, as well as direct communication with us, which also includes a general address of the so-called electronic mail (e-mail address). If a data subject contacts the controller by e-mail or via a contact form, the personal data transmitted by the data subject are automatically stored. Such personal data transmitted on a voluntary basis by a data subject to the data controller are stored for the purpose of processing or contacting the data subject. There is no transfer of this personal data to third parties.
4. Subscription to our Newsletters
On our website, users can subscribe to our newsletter. What data is collected, is determined by the respective input mask.
In our newsletter we inform our customers and business partners regularly about offers, updates and other relevant information. Our newsletter may only be received if the data subject has a valid e-mail address and the data subject registers for the newsletter. A confirmation e-mail will be sent to the e-mail address registered by a data subject for the first time for newsletter shipping, for legal reasons, in the double opt-in procedure. This confirmation e-mail is used to prove whether the owner of the e-mail address as the data subject is authorized to receive the newsletter.
When signing up for our newsletter, we also store the IP address and date and time of the sign up. That is necessary to understand the (possible) misuse of the e-mail address of a data subject at a later date, and is secures the legal protection of the controller.
The personal data collected as part of a registration for the newsletter will only be used to send our newsletter. In addition, subscribers to the newsletter may be informed by e-mail, as long as this is necessary for the operation of the newsletter service or a registration in question, as this could be the case in the event of modifications to the newsletter offer, or in the event of a change in technical circumstances. There will be no transfer of personal data collected by the newsletter service to third parties. The data subject may unsubscribe from our newsletter at any time. The consent to the storage of personal data, which the data subject has given for receiving the newsletter, may be revoked at any time. For the purpose of revocation of consent, a corresponding link is found in each newsletter. It is also possible to unsubscribe from the newsletter at any time directly on the website of the controller, or to communicate this to the controller in a different way.
5. Links to Other Websites
This Privacy Policy applies to Ad Tech Daily’s website, which include links to other websites. If you submit personal or other information to any of those external websites, your information is subject to their privacy policies. We encourage you to carefully read the privacy policy of any website you visit.
6. Services we use
6.1. Data Protection Provisions About the Application and Use of Usercentrics Consent Management Platform
6.2. Data Protection Provisions About the Application and Use of Google Fonts
6.3. Data Protection Provisions About the Application and Use of Google Analytics
6.4. Data Protection Provisions About the Application and Use of Stripe
6.5. Data Protection Provisions About the Application and Use of Contact Form 7
6.6. Data Protection Provisions About the Application and Use of Mailchimp
6.7. Data Protection Provisions About the Application and Use of Google Ad Manager
6.8. Data Protection Provisions About the Application and Use of YouTube Video
6.9. Data Protection Provisions About the Application and Use of Google Adsense
6.10. Data Protection Provisions About the Application and Use of ShareThis
7. Right to Withdraw Data Protection Consent
Each data subject shall have the right granted by the European legislator to withdraw his or her consent to processing of his or her personal data at any time.
If the data subject wishes to exercise the right to withdraw the consent, he or she may, at any time, contact any operator of Ad Tech Daily.
8. Disclaimer
We take commercially reasonable steps to help protect and secure your data (including against unauthorized access, modification and disclosure, and from other types of misuse, interference and loss).
However, no data transmission over the Internet or wireless connection, or electronic storage of data, can be guaranteed to be completely secure. We cannot ensure or
warrant the security of any information we collect or store.
9. Data Encryption Policy
When you enter sensitive information (such as log in credentials) on our registration or order forms, we encrypt that information using secure socket layer technology (SSL).
10. Policy Rights
Changes to this Privacy Policy
Please note that this Privacy Policy may change from time to time. If we change this Privacy Policy in ways that affect how we use your personal information, we will advise on the choices you may have as a result of those changes.
11. Privacy Issues Contact Email
info@adtechdaily.com
12. Right of Complaint to the Supervisory Data Protection Authority
Irrespective of any other administrative or judicial remedies, you have the right of complaint to a Supervisory Authority, in particular in the Member State where you are residing, working or where you suspect the breach, if you believe that the processing of personal data concerning you is against the GDPR.
13. Legal Basis for the Processing
Art. 6(1) lit. a GDPR serves as the legal basis for processing operations for which we obtain consent for a specific processing purpose. If the processing of personal data is necessary for the performance of a contract to which the data subject is party, as is the case, for example, when processing operations are necessary for the supply of goods or to provide any other service, the processing is based on Article 6(1) lit. b GDPR. The same applies to such processing operations which are necessary for carrying out pre-contractual measures, for example in the case of inquiries concerning our products or services. Is our company subject to a legal obligation by which processing of personal data is required, such as for the fulfillment of tax obligations, the processing is based on Art. 6(1) lit. c GDPR. In rare cases, the processing of personal data may be necessary to protect the vital interests of the data subject or of another natural person. This would be the case, for example, if a visitor were injured in our company and his name, age, health insurance data or other vital information would have to be passed on to a doctor, hospital or other third party. Then the processing would be based on Art. 6(1) lit. d GDPR. Finally, processing operations could be based on Article 6(1) lit. f GDPR. This legal basis is used for processing operations which are not covered by any of the abovementioned legal grounds, if processing is necessary for the purposes of the legitimate interests pursued by our company or by a third party, except where such interests are overridden by the interests or fundamental rights and freedoms of the data subject which require protection of personal data. Such processing operations are particularly permissible because they have been specifically mentioned by the European legislator. He considered that a legitimate interest could be assumed if the data subject is a client of the controller (Recital 47 Sentence 2 GDPR).
14. The Legitimate Interests Pursued by the Controller or by a Third Party
Where the processing of personal data is based on Article 6(1) lit. f GDPR our legitimate interest is to carry out our business in favor of the well-being of all our employees and the shareholders.
15. Period for Which the Personal Data will be Stored
The criteria used to determine the period of storage of personal data is the respective statutory retention period. After expiration of that period, the corresponding data is routinely deleted, as long as it is no longer necessary for the fulfillment of the contract or the initiation of a contract.
16. Provision of Personal Data as Statutory or contractual Requirement; Requirement Necessary to Enter into a Contract; Obligation of the Data Subject to Provide the Personal Data; Possible Consequences of Failure to Provide Such Data
We clarify that the provision of personal data is partly required by law (e.g. tax regulations) or can also result from contractual provisions (e.g. information on the contractual partner). Sometimes it may be necessary to conclude a contract that the data subject provides us with personal data, which must subsequently be processed by us. The data subject is, for example, obliged to provide us with personal data when our company signs a contract with him or her. The non-provision of the personal data would have the consequence that the contract with the data subject could not be concluded. Before personal data is provided by the data subject, the data subject must contact any employee. The employee clarifies to the data subject whether the provision of the personal data is required by law or contract or is necessary for the conclusion of the contract, whether there is an obligation to provide the personal data and the consequences of non-provision of the personal data.
17. Security and Data Integrity
Safeguarding the information you give us or we receive about you is a priority for Ad Tech Daily. We take appropriate security measures to protect it against loss, misuse and unauthorized access, alteration, disclosure, or destruction. Ad Tech Daily has taken steps to ensure the ongoing confidentiality, integrity, availability, and resilience of systems and services processing personal data, and will restore the availability and access to data in a timely manner in the event of a physical or technical incident.