We are very pleased about your interest in our
company. Data protection has a particularly high priority for the management
of ABCconsulting. Use of the web pages of ABCconsulting is basically
possible without any indication of personal data. However, if a data subject
wishes to use our company's special services through our website, personal
data processing may be required. If the processing of personal data is
required and there is no legal basis for such processing, we generally seek
the consent of the data subject.
The processing of personal data, such as name, address, e-mail address or
telephone number of a data subject is always in accordance with the General
Data Protection Regulation and in accordance with the ABCconsulting
country-specific privacy policy. Through this privacy policy, our company
seeks to inform the public about the nature, scope and purpose of the
personal information we collect, use and process. Furthermore, data subjects
are informed of their rights under this privacy policy.
1. Definitions:
The privacy policy of ABCconsulting is based on the terminology used by the
European directive and regulatory authority in the adoption of the General
Data Protection Regulation (DS-GVO). Our privacy policy should be easy to
read and understand, both for the public and for our customers and business
partners. To ensure this, we would like to explain in advance the
terminology used.
a) Personal data:
Personal data means any information relating to an identified or
identifiable natural person (hereinafter the "data subject"). A natural
person is considered to be identifiable who directly or indirectly, in
particular by association with an identifier such as a name, an
identification number, location data, an online identifier or one or more
special features, expresses the physical, physiological, genetic, mental,
economic, cultural or social identity of this natural person can be
identified.
b) Affected person:
An affected person is any identified or identifiable natural person whose
personal data is processed by the controller.
c) Processing:
Processing means any process or series of operations related to personal
data, such as collecting, capturing, organising, storing, adapting or
modifying, reading out, querying, using with or without the aid of automated
procedures; disclosure through submission, dissemination or any other form
of provision, reconciliation or association, restriction, erasure or
destruction.
d) Restriction the processing:
Restriction the processing is the marking of stored personal data with the
aim to limit their future processing.
e) Profiling:
Profiling is any type of automated processing of personal data that involves
the use of such personal information to evaluate certain personal aspects
relating to a natural person, in particular aspects relating to job
performance, economic situation, health, personal; to analyse or predict
preferences, interests, reliability, behaviour, whereabouts, or relocation
of that natural person.
f) Pseudonymisation:
Pseudonymisation is the processing of personal data in such a way that
personal data can no longer be attributed to a specific data subject without
the need for additional information, provided that such additional
information is kept separate and subject to technical and organisational
measures to ensure that the personal data not assigned to an identified or
identifiable natural person.
g) The controller:
The controller is the natural or legal person, public authority, body or
body that, alone or in conjunction with others, decides on the purposes and
means of processing personal data. Where the purposes and means of such
processing are determined by European law or the law of the EU member
states, the controller or the specific criteria for his designation may be
provided for under EU or national law.
h) Processor:
A processor is a natural or legal person, public authority, body or body
that processes personal data on behalf of the controller.
i) Recipient:
Recipient is a natural or legal person, agency or other person to which
personal data is disclosed, or is not a third party. However, these bodies
receive personal data under EU or national law in connection with a
particular task.
j) Third party:
A third party is a natural or legal person, public authority, body or body
other than the data subject, the controller, the processor and the persons
authorised under the direct responsibility of the controller or processor to
process the personal data.
k) Consent:
Consent is any expression of will voluntarily and unambiguously given by the
data subject in the form of a statement or other unambiguous confirmatory
act expressing to the data subject that they consent to the processing of
the personal data concerning them.
2. Name and address of the controller:
The person responsible within the meaning of the General Data Protection
Regulation, other data protection laws in the Member States of the European
Union is:
ABCconsulting
Sophienweg 2a
90559 Burgthann
Germany
Tel.: (09741)9103-0
E-Mail: info@abcconsulting.biz
Website: www.abcconsulting.biz
3. Collection of general data and information:
The website ABCconsulting collects a series of general data and information
each time the website is accessed by an affected person or an automated
system. This general data and information is stored in the log files of the
server. The (1) browser types and versions used, (2) the operating system
used by the accessing system, (3) the website from which an accessing system
accesses our website (so-called referrers), (4) the sub-web pages, which can
be accessed via (5) the date and time of access to the website, (6) an
Internet Protocol (IP) address, (7) the Internet service provider of the
accessing system and (8) other similar data and information used in the
event of attacks on our information technology systems.
When using this general data and information, ABCconsulting does not draw
conclusions about the data subject. Rather, this information is required to
(1) correctly deliver the contents of our website, (2) to optimize the
content of our website and to advertise it, (3) to ensure the continued
functioning of our information technology systems and the technology of our
website, and (4) to provide law enforcement authorities with the necessary
information for prosecution in case of a cyber-attack. ABCconsulting
therefore statistically and further evaluates this anonymously collected
data and information with the aim of increasing data protection and data
security in our company in order to ultimately ensure the best possible
level of protection for the personal data we process. The anonymous data of
the server log files are stored separately from all personal data provided
by an affected person.
4. Contact via the website:
For legal regulations, ABCconsulting's website contains information that
allows users to contact our company quickly and to communicate with us
directly, which also includes a general address of the so-called electronic
mail (e-mail address). If an affected person contacts the data controller by
e-mail or through a contact form, the personal data provided by the data
subject will be automatically saved. Such personal information provided on a
voluntary basis by a data subject to the controller is stored for the
purposes of processing or contacting the data subject. There is no
disclosure of this personal data to third parties.
5. Routine deletion and blocking of personal data:
The controller processes and stores personal data of the data subject only
for the period necessary to achieve the purpose of the storage or, if so
required by the European directives and regulations or any other legislator
in laws or regulations, that of the controller subject to was provided. If
the storage purpose is omitted or if a storage period prescribed by the
European directives and regulations or any other relevant legislature
expires, the personal data will be routinely blocked or deleted in
accordance with the statutory provisions.
6. Rights of the affected person:
a) Right of confirmation:
Each data subject has the right, as granted by the European Directive and
Regulatory Authority, to require the controller to confirm whether personal
data relating to him / her are being processed. If an affected person wishes
to exercise this right of confirmation, they can contact an employee of the
ABCconsulting at any time.
b) Right to information:
Any person affected by the processing of personal data must obtain the
personal data saved by the European Information Centre and a copy of this
information. In addition, the European legislator and regulator has provided
the data subject with the following information:
The processing purpose.
The categories of personal data being processed.
The recipients or categories of recipients to whom the personal data have
been disclosed or are still being disclosed, in particular to recipients in
third countries or to international organisations.
If possible, the planned duration for which the personal data will be stored
or, if that is not possible, the criteria for determining that duration.
The existence of a right to rectification or erasure of the personal data
concerning them, or to the limitation of the processing by the controller or
a right to object to such processing.
The right of appeal to a supervisory authority.
If the personal data is not collected from the data subject: All available
information about the origin of the data.
The existence of automated decision-making including profiling in accordance
with Article 22 (1) and (4) of the GDPR and - at least in these cases:
meaningful information on the logic involved and the scope and intended
impact of such processing on the data subject.
Furthermore, the data subject has a right of access as to whether personal
data has been transmitted to a third country or to an international
organisation. If this is the case, then the data subject has the right to
obtain information about the appropriate guarantees in connection with the
transfer.
If a data subject wishes to avail himself of this right to information, he
may, at any time, contact an employee of the ABCconsulting.
c) Right to rectification:
Any person affected by the processing of personal data has the right granted
by the European legislator to demand the immediate correction of inaccurate
personal data concerning him. Furthermore, the data subject has the right to
request the completion of incomplete personal data, including by means of a
supplementary declaration, taking into account the purposes of the
processing.
If an affected person wishes to exercise this right of rectification, they
may, at any time, contact an employee of the controller.
d) Right to cancellation (right to be forgotten):
Any person affected by the processing of personal data shall have the right
granted by the European Directives and Regulators to require the controller
to immediately delete the personal data concerning him, provided that one of
the following reasons is satisfied and the processing is not required:
The personal data has been collected for such purposes or otherwise
processed for which they are no longer necessary.
The person concerned revokes the consent on which the processing was based
on Article 6 (1) (a) of the GDPR or Article 9 (2) (a) of the GDPR and lacks
any other legal basis for the processing.
According to Art. 21 (1) DS-GVO, the data subject objects to the processing
and there are no legitimate reasons for the processing, or the data subject
objects according to Art. 21 (2) DS-GVO Processing.
The personal data was processed unlawfully.
The deletion of personal data is necessary to fulfil a legal obligation
under EU or national law, to which the controller is subject.
The personal data was collected in relation to information society services
offered in accordance with Art. 8 para. 1 DS-GVO.
If any of the above reasons are correct and an interested party wishes to
arrange for the deletion of personal data held by ABCconsulting, they may,
at any time, contact an employee of ABCconsulting. The employee will arrange
that the deletion request be fulfilled immediately.
If the personal data have been made public by ABCconsulting and if our
company is responsible for the deletion of personal data as the person
responsible pursuant to Art. 17 (1) DS-BER, ABCconsulting shall take
appropriate measures, including technical ones, taking into account the
available technology and the implementation costs in order to inform other
data controllers processing the published personal data that the data
subject has requested the deletion of all links to such personal data or
copies or replications of such personal data from those other data
controllers unless the processing is required. The employee of ABCconsulting
will arrange the necessary in individual cases.
e) Right to restriction of processing:
Any person affected by the processing of personal data has the right granted
by the EU directive and regulatory authority to require the controller to
restrict the processing if one of the following conditions applies:
The accuracy of the personal data is contested by the data subject for a
period of time that enables the person responsible to verify the accuracy of
the personal data.
The processing is unlawful. The data subject refuses to delete the personal
data and instead requests the restriction of the use of personal data.
The controller no longer needs the personal data for processing purposes,
but the data subject needs them to assert, exercise or defend legal claims.
The person concerned has objection to the processing acc. Art. 21 para. 1
DS-GVO and it is not yet clear whether the legitimate reasons of the person
responsible outweigh those of the person concerned.
If one of the above conditions is met and an affected person wishes to
request the restriction of personal data stored by ABCconsulting, they may
at any time contact an employee of ABCconsulting. The employee of will carry
out the restriction.
f) Right to data portability:
Any person affected by the processing of personal data shall have the right
granted by the European Directive and Regulatory Authority to receive the
personal data concerning him / her provided to a controller by the data
subject in a structured, common and machine-readable format. It also has the
right to transmit this data to another person responsible without hindrance
by the controller to whom the personal data was provided, provided that the
processing is based on the consent pursuant to Art. 6 (1) (a) GDPR or Art. 9
para 2 (a) of the GDPR or on a contract pursuant to Article 6 (1) (b) of the
GDPR and processing by means of automated procedures, unless the processing
is necessary for the performance of a task of public interest or in the
exercise of official authority, which has been assigned to the controller.
Furthermore, in exercising their right to data portability under Article 20
(1) of the GDPR, the data subject has the right to obtain that the personal
data is transmitted directly from one controller to another, where
technically feasible and if so this does not affect the rights and freedoms
of others.
To assert the right to data portability, the data subject may at any time
contact an employee of ABCconsulting.
g) Right to objection:
Any person concerned by the processing of personal data shall have the right
conferred by the European directive and regulatory authority at any time,
for reasons arising from its particular situation, against the processing of
personal data relating to it pursuant to Article 6 (1) (e) or f DS-GVO takes
an objection. This also applies to profiling based on these provisions.
In the event of an objection, ABCconsulting no longer processes the personal
data unless we can establish compelling legitimate grounds for processing
that outweigh the interests, rights and freedoms of the data subject, or the
processing is for the purposes of asserting, exercising or defending legal
claims.
If ABCconsulting processes personal data in order to operate direct mail,
the data subject has the right to object at any time to the processing of
personal data for the purpose of such advertising. This also applies to the
profiling, as far as it is associated with such direct mail. If the data
subject objects to ABCconsulting processing for direct marketing purposes,
ABCconsulting will no longer process the personal data for these purposes.
In addition, the data subject has the right, for reasons arising from his /
her particular situation, against the processing of personal data relating
to him, the ABCconsulting for scientific or historical research purposes or
for statistical purposes pursuant to Art. 89 (1) DS-GVO objection, unless
such processing is necessary to fulfil a public interest task.
In order to exercise the right of opposition, the data subject may directly
contact any ABCconsulting employee. The data subject is also free, in the
context of the use of information society services, notwithstanding
Directive 2002/58 / EC, to exercise his right of opposition by means of
automated procedures using technical specifications.
h) Automated decisions in individual cases including
profiling:
Any person concerned with the processing of personal data shall have the
right granted by the European directive and regulatory authority not to be
subject to a decision based solely on automated processing, including
profiling, which has a legal effect on it or, in a similar manner,
significantly affects it; unless the decision (1) is necessary for the
conclusion or performance of a contract between the data subject and the
controller, or (2) permitted by EU or Member State legislation to which the
controller is subject, and that legislation provides for appropriate
measures to safeguard the rights and freedoms and the legitimate interests
of the data subject; or (3) with the express consent of the data subject.
If the decision (1) is required for the conclusion or performance of a
contract between the data subject and the controller or (2) it takes place
with the express consent of the data subject, the ABCconsulting shall take
appropriate measures to safeguard the rights and freedoms as well as the
legitimate interests the person concerned, including at least the right to
obtain the intervention of a person by the controller, to express his / her
own position and to challenge the decision.
If the data subject wishes to rely on automated decision-making rights, they
may, at any time, contact an employee of ABCconsulting.
i) Right to revoke data protection consent:
Any person affected by the processing of personal data has the right,
granted by the European directive and regulatory authority, to revoke
consent to the processing of personal data at any time.
If the data subject wishes to assert their right to withdraw consent, they
may, at any time, contact an employee of the controller.
7. Legal basis of processing:
Art. 6 I lit. A DS-GMO serves our company as the legal basis for processing
operations in which we obtain consent for a particular processing purpose.
If the processing of personal data is necessary to fulfill a contract of
which the data subject is a party, as is the case, for example, in
processing operations necessary for the supply of goods or the provision of
any other service or consideration, processing shall be based on Art. 6 I
lit. b DS-GMO. The same applies to processing operations that are necessary
to carry out pre-contractual measures, for example in the case of inquiries
about our products or services. If our company is subject to a legal
obligation which requires the processing of personal data, such as the
fulfilment of tax obligations, the processing is based on Art. 6 I lit. c
DS-GMO. In rare cases, the processing of personal data may be required to
protect the vital interests of the data subject or another natural person.
This would be the case, for example, if a visitor to our premises were
injured and his or her name, age, health insurance 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 I lit. d DS GMOs are
based. Ultimately, processing operations could be based on Art. 6 I lit. f
DS GMOs are based. Processing operations that are not covered by any of the
above legal bases are based on this legal basis if processing is necessary
to safeguard the legitimate interests of our company or a third party,
unless the interests, fundamental rights and fundamental freedoms of the
person concerned prevail. Such processing operations are particularly
permitted because they have been specifically mentioned by the European
legislator. In that regard, it considered that a legitimate interest could
be assumed if the data subject is a customer of the controller (recital 47,
second sentence, DS-BER).
8. Qualified interests in the processing being pursued
by the controller or a third party:
Is the processing of personal data based on Article 6 I lit. f DS-GMO is our
legitimate interest in conducting our business for the benefit of all of our
employees and our shareholders.
9. Duration for which the personal data is stored:
The criterion for the duration of the storage of personal data is the
respective statutory retention period. After the deadline, the corresponding
data will be routinely deleted, if they are no longer required to fulfil the
contract or to initiate a contract.
10. Legal or contractual provisions for the provision of personal data;
Necessity for the conclusion of the contract;
Obligation of the data subject to provide the personal data; possible
consequences of non-provision:
We clarify that the provision of personal information is in part required by
law (such as tax regulations) or may result from contractual arrangements
(such as details of the contractor). Occasionally it may be necessary for a
contract to be concluded that an affected person provides us with personal
data that must subsequently be processed by us. For example, the data
subject is required to provide us with personal information when our company
concludes a contract with her. Failure to provide the personal data would
mean that the contract with the person concerned could not be closed. Prior
to any personal data being provided by the person concerned, the person
concerned must contact one of our employees. Our employee will inform the
individual on a case-by-case basis whether the provision of the personal
data is required by law or contract or required for the conclusion of the
contract, whether there is an obligation to provide the personal data, and
what would have resulted from the failure to provide the personal data.
11. Existence of automated decision-making:
As a responsible company, we refrain from automatic decision-making or
profiling.