DISCLAIMER

Komma AG

 

With the revision of the Federal Data Protection Act (FADP), a number of important provisions on the processing of personal data have changed as of September 1st, 2023.

Our company is extremely careful with the processing and confidentiality of your data, which is why we have promptly adapted to the new legislation which aims to provide greater protection - compared to the previous legislation - for your data.

Purpose of data processing

Your data are collected to enable the Data Controller to provide its Services, as well as for the following purposes: statistics, advertising, contacting you, registration and authentication, Heat mapping and session registration, interaction with social networks and external platforms, interaction with contact management and message sending platforms.

To obtain further detailed information on the purposes of the processing and the Personal Data concretely relevant for each purpose, you may refer to the relevant sections of this document.

 

Legal basis for processing

The Controller processes your personal data where one of the following conditions exists:

- You have given consent for one or more specific purposes; Note: in some jurisdictions, the Controller may be authorised to process Personal Data without the need for Your consent or another of the legal bases specified below, as long as you don’t object ("opt-out") to such processing. However, this does not apply if the processing of Personal Data is governed by European legislation on the protection of Personal Data;

- processing is necessary for the performance of a contract with you and/or the performance of pre-contractual measures;

- processing is necessary for the performance of a legal obligation to which the Controller is subject;

- processing is necessary for the performance of a task carried out in the public interest or in the exercise of public authority vested in the Controller;

- processing is necessary for the pursuit of the legitimate interest of the Controller or of third parties.

However, it is always possible to ask the Data Controller to clarify the concrete legal basis of each processing and to specify whether the processing is based on law, required by a contract or necessary to conclude a contract.

 

You can view the Data Protection policy at this link.