I. PRIVACY AND DATA PROTECTION POLICY
In compliance with the provisions of current legislation, exprestrading (hereinafter also Website) undertakes to adopt the necessary technical and organizational measures, according to the level of security appropriate to the risk of the data collected.
Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 on the protection of natural persons with regard to the processing of personal data and on the free movement of such data (GDPR).
The Organic Law 3/2018, of December 5, 2018, on the Protection of Personal Data and guarantee of digital rights (LOPD-GDD).
Royal Decree 1720/2007, of December 21, which approves the Regulations for the development of Organic Law 15/1999, of December 13, on the Protection of Personal Data (RDLOPD).
Law 34/2002, of July 11, 2002, on Information Society Services and Electronic Commerce (LSSI-CE).
Identity of the person responsible for the processing of personal data
The person responsible for the processing of personal data collected in exprestrading is: Exprestrading sa de cv, provided with NIF/CIF: A-65813854 and registered in: Registro Mercantil de Exportaciones e Importaciones a nivel global with the following registry data: Tomo 1 , hoja 15 parrafo 7, whose representative is: Bryan Myers Betancurt (hereinafter, Responsible for the treatment). His contact details are as follows:
Address: 22 Baker Street, London
Contact telephone number: 619 661 1293
Contact email: email@example.com
Registration of Personal Data
In compliance with the provisions of the RGPD and the LOPD-GDD, we inform you that the personal data collected by exprestrading, through the forms provided on its pages will be incorporated and processed in our file in order to facilitate, expedite and fulfill the commitments established between exprestrading and the User or the maintenance of the relationship established in the forms filled in by the User, or to respond to a request or query from the User. Furthermore, in accordance with the provisions of the RGPD and the LOPD-GDD, unless the exception provided for in article 30.5 of the RGPD applies, a register of processing activities is kept which specifies, according to its purposes, the processing activities carried out and the other circumstances established in the RGPD.
Principles applicable to the processing of personal data