PRIVACY POLICY.

GDPR. Processing of personal data.

1. Information for the user.

In compliance with EU Regulation 2016/679 General Data Protection Regulation (GDPR), a European regulation applicable in Spain since 25 May 2018, Roselló-Sangenís Arquitectes, S.C.P. informs all its Suppliers, clients, personnel and users on the handling of their personal data:

- Data handler.
Roselló-Sangenís Arquitectes S.C.P.

- Contact data.
Roselló-Sangenís Arquitectes, S.C.P. Plaça de la Farga 2, baixos 1era. 08014 Barcelona (Spain). E-mail: (Necessites javascript per veure aquest correu-e). Telephone No.: 934 215 580.

- Purpose of processing.
Supplying services contracted, responding to requests for information and sending news and service offers.

- Legal basis and legitimation of personal data processing.
Consent of the owner of the data; contractual relationship or legitimate interest.

- Receivers: Transfer of data and commercial communications.
Personal data collected by Roselló-Sangenís Arquitectes, S.C.P. will not be handed over to third parties without the prior and informed consent of the owner of the data, except if obliged by legal imperative.

Roselló-Sangenís Arquitectes, S.C.P. will not transfer personal data to other countries.

- Data storage.
Data will be stored during the existence of a contractual relationship with Roselló-Sangenís Arquitectes, S.C.P. or while the owner of the data does not revoke consent to process it. Then it will be destroyed or blocked before being destroyed, during the time that Roselló- Sangenís Arquitectes, S.C.P. is legally obliged to preserve this documentation.

- Exercise of rights.
Owners of the information may exercise their right to access, correct, delete, the right to be forgotten, portability, limitation and opposition to the processing of their personal data by contacting Roselló-Sangenís Arquitectes, S.C.P: Either by visiting the physical office, or via email, indicated in the «Contact data» section, accrediting identity by means of a DNI (ID card), passport or equivalent document valid in Spain.

- Complaints.
Users that consider that illicit use has been made of their personal data may complain before a control authority such as The Catalan Data Protection Agency or The Spanish Data Protection Agency

- Regulations applied to the profession.
https://www.arquitectes.cat/ca/finestreta-unica

2. Required or optional data submitted by the User.

Users submitting data in the fields marked with an asterisk (*) in the Queries and Suggestions form accept the voluntary, express and unequivocal requirement and that their data is necessary to attend to the request on the part of the supplier of the service, sent in a voluntary manner, including the data submitted in the remaining fields. The User guarantees that the personal data submitted to Roselló-Sangenís Arquitectes, S.C.P. is truthful and must punctually inform in case of any modification of this data.

Roselló – Sangenís Arquitectes, S.C.P. informs users that their personal data will not be handed over to third parties under any circumstance, and that prior, express and unequivocal authorisation will be requested for any transfer of personal data.

Submission of some data may be a legal or contractual requirement or a requirement needed to sign a contract. Not submitting this required data may mean that an order cannot be fulfilled.


3. Security measures.

In compliance with current data protection regulations, Roselló – Sangenís Arquitectes, S.C.P. is compliant with all the provisions of GDPR regulations regarding processing personal data and abiding by the principles described in article five of the GDPR, by which the data is handled in a licit, loyal and transparent manner with relation to the interested party and adequate, pertinent and limited to what is necessary for the purpose of the data handling.

Roselló-Sangenís Arquitectes, S.C.P. guarantees that it has implemented appropriate policies, techniques and resources to apply the security measures established by the GDPR for the purpose of protecting the rights and freedoms of Users, and that it has informed the User of how to exercise these rights.