Privacy Policy
IDENTIFICATION AND OWNERSHIP
Titular: Antonio Luis Núñez Gómez
CIF: 34076398N
Address: C. Pepe Luces, 6, local 4, 41500 Alcalá de Guadaíra, Sevilla
Email: anlualcala@hotmail.com
Contact phone: 635 44 90 00
Website: https://www.mifruteriaalcala.es
PURPOSE
Management and processing of personal data related to the provision of services and fulfillment of contractual obligations.
Legitimation: Obtaining the consent of the interested party and fulfilling the obligation to inform.
Recipients: Clients, suppliers, and personnel of Antonio Luis Núñez Gómez, as well as public administrations and bodies for the fulfillment of obligations by Antonio Luis Núñez Gómez.
Rights: Access, rectification, objection, and deletion of personal data, as well as other rights such as the right to erasure and data portability.
Additional Information: Any interested party may consult additional and detailed information on Data Protection below.
Basic Information on Data Protection (in compliance with Article 11 of the LOPDGDD) – Information adapted to the requirements set by the General Data Protection Regulation (Regulation 2016/679 of the European Parliament and of the Council, dated April 27, 2016) and the Organic Law on Personal Data Protection and the Guarantee of Digital Rights (Organic Law 3/2018, dated December 5).
Through this website, no personal data of users is collected (nor is it transferred to third parties) without their consent.
To offer the best service to users of this website and facilitate its use, we analyze visits (including the number of visits), pages consulted, frequency of consultation, and user activity on the website. To this end, Antonio Luis Núñez Gómez uses statistical information provided by his internet service provider.
The portal includes links to third-party websites, whose privacy policies are external to our entity. Thus, by accessing these third-party websites, you may choose whether to accept their privacy policies (and cookie policies).
Additional Information
In his commitment to the protection of personal data, Antonio Luis Núñez Gómez has reviewed all his processes and services, especially those involving the processing of personal data, to comply with the new requirements of community regulations (specifically, the new General Data Protection Regulation – GDPR) and national law (LOPDGDD). Measures have been implemented to ensure the security of personal data based on the results of the conducted analysis, and his privacy policies, legal notice, and cookie policy have been updated accordingly.
The user and/or client guarantees that the data provided is true, accurate, complete, and up-to-date, and is responsible for any direct or indirect damage caused by the failure to comply with this obligation.
Regarding technical security and system diagnostics, Antonio Luis Núñez Gómez may record the IP address (the device’s internet access identifier number, which allows systems and servers to recognize and communicate with each other) in an anonymized or pseudonymized form. It is explicitly stated that this information may also be used for website performance analytics.
Similarly, in accordance with applicable personal data protection regulations, the user and/or client of Antonio Luis Núñez Gómez is informed of the following aspects:
Data Controller
The data controller of the personal data provided by the user is Antonio Luis Núñez Gómez, with NIF number 34076398N and address at C. Pepe Luces, 6, Local 4, 41500 Alcalá de Guadaíra, Sevilla.
The personal data collected directly from any user will be processed confidentially and incorporated into the relevant processing activity under the ownership of Antonio Luis Núñez Gómez.
Purposes of Personal Data Processing
The purpose of processing the personal data carried out is defined by the activities of the processing undertaken by this entity, which can be consulted in the Treatment Activity Register prepared in compliance with the GDPR and the LOPDGDD.
In any case, the processing of personal data will be carried out to comply with our legal obligations. If the processing requires the user’s consent, it will be requested through a clear affirmative action.
The legal basis for each processing activity carried out by our entity can also be consulted in the Treatment Activity Register prepared in compliance with the GDPR and LOPDGDD.
Information on Data Processing for Sending Communications
The data provided in informational and/or promotional communications is processed by Antonio Luis Núñez Gómez for the purposes of sending electronic communications related to services, activities, publications, celebrations, greetings, and social and professional events of Antonio Luis Núñez Gómez that may be of interest to the user and/or client. The consent for sending such communications may be revoked at any time.
In any case, users may exercise their rights of access, rectification, opposition, or deletion (cancellation), limitation of processing, and portability by postal mail at the following address: C. Pepe Luces, 6, Local 4, 41500 Alcalá de Guadaíra, Sevilla, or by email at the address: anlualcala@hotmail.com. Similarly, users have the right not to be subject to decisions based solely on the automated processing of their personal data.
Personal Data of Third Parties
In the case of personal data provided by a person other than the user or data subject acting as their representative, the representative guarantees that they have informed the data subject about this Privacy Policy and have obtained their explicit consent to provide their data to Antonio Luis Núñez Gómez for the purposes indicated.
Data Retention Period
Personal data provided will be retained for the time necessary to fulfill the purpose for which it was collected, i.e., while the contractual relationship is maintained, until the interested party requests its deletion, and not for longer than necessary to comply with a legal obligation or to exercise claims.
If the user revokes their consent or exercises the rights previously mentioned, their personal data will be blocked and made available to the Administration of Justice for the periods legally established to address possible responsibilities, as well as the retention periods set out in the documentation and archive regulations.
Data Communication and Categories of Recipients
In general, personal data will not be communicated to third parties, unless required by law (e.g., communications to courts and tribunals). The recipients of the processing activities carried out by our entity are reflected in the “Treatment Activity Register” prepared by our entity during the process of adapting its structures to the GDPR and the LOPDGDD, which was completed in compliance with both legal texts.
Policy Updates
This policy has been updated in accordance with the requirements of the community and national data protection regulations (GDPR and LOPDGDD). It is also informed that this policy may be modified due to changes in the requirements set by the current legislation at any given time.
