{"id":721,"date":"2020-08-11T19:23:09","date_gmt":"2020-08-11T19:23:09","guid":{"rendered":"https:\/\/cwacenter.com\/?page_id=721"},"modified":"2021-01-08T01:25:43","modified_gmt":"2021-01-08T01:25:43","slug":"privacy-policy","status":"publish","type":"page","link":"https:\/\/cwacenter.com\/de\/privacy-policy\/","title":{"rendered":"Datenschutz"},"content":{"rendered":"<div data-elementor-type=\"wp-page\" data-elementor-id=\"721\" class=\"elementor elementor-721\" data-elementor-settings=\"[]\">\n\t\t\t\t\t\t<div class=\"elementor-inner\">\n\t\t\t\t\t\t\t<div class=\"elementor-section-wrap\">\n\t\t\t\t\t\t\t<section class=\"elementor-section elementor-top-section elementor-element elementor-element-ede6f42 elementor-section-height-min-height elementor-section-boxed elementor-section-height-default elementor-section-items-middle\" data-id=\"ede6f42\" data-element_type=\"section\" data-settings=\"{&quot;background_background&quot;:&quot;classic&quot;}\">\n\t\t\t\t\t\t\t<div class=\"elementor-background-overlay\"><\/div>\n\t\t\t\t\t\t\t<div class=\"elementor-container elementor-column-gap-default\">\n\t\t\t\t\t\t\t<div class=\"elementor-row\">\n\t\t\t\t\t<div class=\"elementor-column elementor-col-100 elementor-top-column elementor-element elementor-element-bc6a053\" data-id=\"bc6a053\" data-element_type=\"column\">\n\t\t\t<div class=\"elementor-column-wrap elementor-element-populated\">\n\t\t\t\t\t\t\t<div class=\"elementor-widget-wrap\">\n\t\t\t\t\t\t<div class=\"elementor-element elementor-element-32a6ad1b elementor-widget elementor-widget-heading\" data-id=\"32a6ad1b\" data-element_type=\"widget\" data-widget_type=\"heading.default\">\n\t\t\t\t<div class=\"elementor-widget-container\">\n\t\t\t<h1 class=\"elementor-heading-title elementor-size-default\">Datenschutz<\/h1>\t\t<\/div>\n\t\t\t\t<\/div>\n\t\t\t\t\t\t<\/div>\n\t\t\t\t\t<\/div>\n\t\t<\/div>\n\t\t\t\t\t\t\t\t<\/div>\n\t\t\t\t\t<\/div>\n\t\t<\/section>\n\t\t\t\t<section class=\"elementor-section elementor-top-section elementor-element elementor-element-0644c79 elementor-section-boxed elementor-section-height-default elementor-section-height-default\" data-id=\"0644c79\" data-element_type=\"section\">\n\t\t\t\t\t\t<div class=\"elementor-container elementor-column-gap-default\">\n\t\t\t\t\t\t\t<div class=\"elementor-row\">\n\t\t\t\t\t<div class=\"elementor-column elementor-col-100 elementor-top-column elementor-element elementor-element-9fc585d\" data-id=\"9fc585d\" data-element_type=\"column\">\n\t\t\t<div class=\"elementor-column-wrap elementor-element-populated\">\n\t\t\t\t\t\t\t<div class=\"elementor-widget-wrap\">\n\t\t\t\t\t\t<div class=\"elementor-element elementor-element-cffa435 elementor-widget elementor-widget-text-editor\" data-id=\"cffa435\" data-element_type=\"widget\" data-widget_type=\"text-editor.default\">\n\t\t\t\t<div class=\"elementor-widget-container\">\n\t\t\t\t\t<div class=\"elementor-text-editor elementor-clearfix\"><section data-id=\"0644c79\" data-element_type=\"section\">\n\t\t\t\t\t\t<div>\n\t\t\t\t\t\t\t<div>\n\t\t\t\t\t<div data-id=\"9fc585d\" data-element_type=\"column\">\n\t\t\t<div>\n\t\t\t\t\t\t\t<div>\n\t\t\t\t\t\t<div data-id=\"cffa435\" data-element_type=\"widget\" data-widget_type=\"text-editor.default\">\n\t\t\t\t<div>\n\t\t\t\t\t<div><p><strong>Datenschutz<\/strong><\/p>\n<p>Data protection is of a particularly high priority for the management\n of HCG \u2013 Hazard Control GmbH. The use of the Internet pages of HCG \u2013 \nHazard Control GmbH is possible without any indication of personal data;\n however, if a data subject wants to use special enterprise services via\n our website, processing of personal data could become necessary. If the\n processing of personal data is necessary and there is no statutory \nbasis for such processing, we generally obtain consent from the data \nsubject.<\/p>\n<p>The processing of personal data, such as the name, address, e-mail \naddress, or telephone number of a data subject shall always be in line \nwith the General Data Protection Regulation (GDPR), and in accordance \nwith the country-specific data protection regulations applicable to HCG \u2013\n Hazard Control GmbH. By means of this data protection declaration, our \nenterprise would like to inform the general public of the nature, scope,\n and purpose of the personal data we collect, use and process. \nFurthermore, data subjects are informed, by means of this data \nprotection declaration, of the rights to which they are entitled.<\/p>\n<p>As the controller, HCG \u2013 Hazard Control GmbH has implemented numerous\n technical and organizational measures to ensure the most complete \nprotection of personal data processed through this website. However, \nInternet-based data transmissions may in principle have security gaps, \nso absolute protection may not be guaranteed. For this reason, every \ndata subject is free to transfer personal data to us via alternative \nmeans, e.g. by telephone.<\/p>\n<p>1. Definitions<\/p>\n<p>The data protection declaration of HCG \u2013 Hazard Control GmbH is based\n on the terms used by the European legislator for the adoption of the \nGeneral Data Protection Regulation (GDPR). Our data protection \ndeclaration should be legible and understandable for the general public,\n as well as our customers and business partners. To ensure this, we \nwould like to first explain the terminology used.<\/p>\n<p>In this data protection declaration, we use, inter alia, the following terms:<\/p>\n<p>a)&nbsp;&nbsp;&nbsp; Personal data<\/p>\n<p>Personal data means any information relating to an identified or \nidentifiable natural person (\u201cdata subject\u201d). An identifiable natural \nperson is one who can be identified, directly or indirectly, in \nparticular by reference to an identifier such as a name, an \nidentification number, location data, an online identifier or to one or \nmore factors specific to the physical, physiological, genetic, mental, \neconomic, cultural or social identity of that natural person.<\/p>\n<p>b) Data subject<\/p>\n<p>Data subject is any identified or identifiable natural person, whose \npersonal data is processed by the controller responsible for the \nprocessing.<\/p>\n<p>c)&nbsp;&nbsp;&nbsp; Processing<\/p>\n<p>Processing is any operation or set of operations which is performed \non personal data or on sets of personal data, whether or not by \nautomated means, such as collection, recording, organisation, \nstructuring, storage, adaptation or alteration, retrieval, consultation,\n use, disclosure by transmission, dissemination or otherwise making \navailable, alignment or combination, restriction, erasure or \ndestruction.<\/p>\n<p>d)&nbsp;&nbsp;&nbsp; Restriction of processing<\/p>\n<p>Restriction of processing is the marking of stored personal data with the aim of limiting their processing in the future.<\/p>\n<p>e)&nbsp;&nbsp;&nbsp; Profiling<\/p>\n<p>Profiling means any form of automated processing of personal data \nconsisting of the use of personal data to evaluate certain personal \naspects relating to a natural person, in particular to analyse or \npredict aspects concerning that natural person\u2019s performance at work, \neconomic situation, health, personal preferences, interests, \nreliability, behaviour, location or movements.<\/p>\n<p>f)&nbsp;&nbsp;&nbsp;&nbsp; Pseudonymisation<\/p>\n<p>Pseudonymisation is the processing of personal data in such a manner \nthat the personal data can no longer be attributed to a specific data \nsubject without the use of additional information, provided that such \nadditional information is kept separately and is subject to technical \nand organisational measures to ensure that the personal data are not \nattributed to an identified or identifiable natural person.<\/p>\n<p>g)&nbsp;&nbsp;&nbsp; Controller or controller responsible for the processing<\/p>\n<p>Controller or controller responsible for the processing is the \nnatural or legal person, public authority, agency or other body which, \nalone or jointly with others, determines the purposes and means of the \nprocessing of personal data; where the purposes and means of such \nprocessing are determined by Union or Member State law, the controller \nor the specific criteria for its nomination may be provided for by Union\n or Member State law.<\/p>\n<p>h)&nbsp;&nbsp;&nbsp; Processor<\/p>\n<p>Processor is a natural or legal person, public authority, agency or \nother body which processes personal data on behalf of the controller.<\/p>\n<p>i)&nbsp;&nbsp;&nbsp;&nbsp;&nbsp; Recipient<\/p>\n<p>Recipient is a natural or legal person, public authority, agency or \nanother body, to which the personal data are disclosed, whether a third \nparty or not. However, public authorities which may receive personal \ndata in the framework of a particular inquiry in accordance with Union \nor Member State law shall not be regarded as recipients; the processing \nof those data by those public authorities shall be in compliance with \nthe applicable data protection rules according to the purposes of the \nprocessing.<\/p>\n<p>j)&nbsp;&nbsp;&nbsp;&nbsp;&nbsp; Third party<\/p>\n<p>Third party is a natural or legal person, public authority, agency or\n body other than the data subject, controller, processor and persons \nwho, under the direct authority of the controller or processor, are \nauthorised to process personal data.<\/p>\n<p>k)&nbsp;&nbsp;&nbsp; Consent<\/p>\n<p>Consent of the data subject is any freely given, specific, informed \nand unambiguous indication of the data subject\u2019s wishes by which he or \nshe, by a statement or by a clear affirmative action, signifies \nagreement to the processing of personal data relating to him or her.<\/p>\n<p>2. Name and Address of the controller<\/p>\n<p>Controller for the purposes of the General Data Protection Regulation\n (GDPR), other data protection laws applicable in Member states of the \nEuropean Union and other provisions related to data protection is:<\/p>\n<p>HCG \u2013 Hazard Control GmbH<br>Am H\u00f6lln 3-5, OT Hiddingen<br>27374 Visselh\u00f6vede<br>Deutschland<br>Phone: +49 (0) 4262 9182101<br>Email: info@hazardcontrolgermany.com<br>Website: https:\/\/hazardcontrolgermany.com<\/p>\n<p>3. Cookies<\/p>\n<p>The Internet pages of HCG \u2013 Hazard Control GmbH use cookies. Cookies \nare text files that are stored in a computer system via an Internet \nbrowser.<\/p>\n<p>Many Internet sites and servers use cookies. Many cookies contain a \nso-called cookie ID. A cookie ID is a unique identifier of the cookie. \nIt consists of a character string through which Internet pages and \nservers can be assigned to the specific Internet browser in which the \ncookie was stored. This allows visited Internet sites and servers to \ndifferentiate the individual browser of the dats subject from other \nInternet browsers that contain other cookies. A specific Internet \nbrowser can be recognized and identified using the unique cookie ID.<\/p>\n<p>Through the use of cookies, HCG \u2013 Hazard Control GmbH can provide the\n users of this website with more user-friendly services that would not \nbe possible without the cookie setting.<\/p>\n<p>By means of a cookie, the information and offers on our website can \nbe optimized with the user in mind. Cookies allow us, as previously \nmentioned, to recognize our website users. The purpose of this \nrecognition is to make it easier for users to utilize our website. The \nwebsite user that uses cookies, e.g. does not have to enter access data \neach time the website is accessed, because this is taken over by the \nwebsite, and the cookie is thus stored on the user\u2019s computer system. \nAnother example is the cookie of a shopping cart in an online shop. The \nonline store remembers the articles that a customer has placed in the \nvirtual shopping cart via a cookie.<\/p>\n<p>The data subject may, at any time, prevent the setting of cookies \nthrough our website by means of a corresponding setting of the Internet \nbrowser used, and may thus permanently deny the setting of cookies. \nFurthermore, already set cookies may be deleted at any time via an \nInternet browser or other software programs. This is possible in all \npopular Internet browsers. If the data subject deactivates the setting \nof cookies in the Internet browser used, not all functions of our \nwebsite may be entirely usable.<\/p>\n<p>4. Collection of general data and information<\/p>\n<p>The website of HCG \u2013 Hazard Control GmbH collects a series of general\n data and information when a data subject or automated system calls up \nthe website. This general data and information are stored in the server \nlog files. Collected may be (1) the browser types and versions used, (2)\n the operating system used by the accessing system, (3) the website from\n which an accessing system reaches our website (so-called referrers), \n(4) the sub-websites, (5) the date and time of access to the Internet \nsite, (6) an Internet protocol address (IP address), (7) the Internet \nservice provider of the accessing system, and (8) any other similar data\n and information that may be used in the event of attacks on our \ninformation technology systems.<\/p>\n<p>When using these general data and information, HCG \u2013 Hazard Control \nGmbH does not draw any conclusions about the data subject. Rather, this \ninformation is needed to (1) deliver the content of our website \ncorrectly, (2) optimize the content of our website as well as its \nadvertisement, (3) ensure the long-term viability of our information \ntechnology systems and website technology, and (4) provide law \nenforcement authorities with the information necessary for criminal \nprosecution in case of a cyber-attack. Therefore, HCG \u2013 Hazard Control \nGmbH analyzes anonymously collected data and information statistically, \nwith the aim of increasing the data protection and data security of our \nenterprise, and to ensure an optimal level of protection for the \npersonal data we process. The anonymous data of the server log files are\n stored separately from all personal data provided by a data subject.<\/p>\n<p>5. Contact possibility via the website<\/p>\n<p>The website of HCG \u2013 Hazard Control GmbH contains information that \nenables a quick electronic contact to our enterprise, as well as direct \ncommunication with us, which also includes a general address of the \nso-called electronic mail (e-mail address). If a data subject contacts \nthe controller by e-mail or via a contact form, the personal data \ntransmitted by the data subject are automatically stored. Such personal \ndata transmitted on a voluntary basis by a data subject to the data \ncontroller are stored for the purpose of processing or contacting the \ndata subject. There is no transfer of this personal data to third \nparties.<\/p>\n<p>6. Routine erasure and blocking of personal data<\/p>\n<p>The data controller shall process and store the personal data of the \ndata subject only for the period necessary to achieve the purpose of \nstorage, or as far as this is granted by the European legislator or \nother legislators in laws or regulations to which the controller is \nsubject to.<br>If the storage purpose is not applicable, or if a storage\n period prescribed by the European legislator or another competent \nlegislator expires, the personal data are routinely blocked or erased in\n accordance with legal requirements.<\/p>\n<p>7. Rights of the data subject<\/p>\n<p>a) Right of confirmation<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator to obtain from the controller the confirmation as to whether \nor not personal data concerning him or her are being processed. If a \ndata subject wishes to avail himself of this right of confirmation, he \nor she may, at any time, contact any employee of the controller.<\/p>\n<p>b) Right of access<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator to obtain from the controller free information about his or \nher personal data stored at any time and a copy of this information. \nFurthermore, the European directives and regulations grant the data \nsubject access to the following information:<\/p>\n<p>o&nbsp;&nbsp; &nbsp;the purposes of the processing;<\/p>\n<p>o&nbsp;&nbsp; &nbsp;the categories of personal data concerned;<\/p>\n<p>o&nbsp;&nbsp; &nbsp;the recipients or categories of recipients to whom the personal \ndata have been or will be disclosed, in particular recipients in third \ncountries or international organisations;<\/p>\n<p>o&nbsp;&nbsp; &nbsp;where possible, the envisaged period for which the personal data\n will be stored, or, if not possible, the criteria used to determine \nthat period;<\/p>\n<p>o&nbsp;&nbsp; &nbsp;the existence of the right to request from the controller \nrectification or erasure of personal data, or restriction of processing \nof personal data concerning the data subject, or to object to such \nprocessing;<\/p>\n<p>o&nbsp;&nbsp; &nbsp;the existence of the right to lodge a complaint with a supervisory authority;<\/p>\n<p>o&nbsp;&nbsp; &nbsp;where the personal data are not collected from the data subject, any available information as to their source;<\/p>\n<p>o&nbsp;&nbsp; &nbsp;the existence of automated decision-making, including profiling,\n referred to in Article 22(1) and (4) of the GDPR and, at least in those\n cases, meaningful information about the logic involved, as well as the \nsignificance and envisaged consequences of such processing for the data \nsubject.<\/p>\n<p>Furthermore, the data subject shall have a right to obtain \ninformation as to whether personal data are transferred to a third \ncountry or to an international organisation. Where this is the case, the\n data subject shall have the right to be informed of the appropriate \nsafeguards relating to the transfer.<\/p>\n<p>If a data subject wishes to avail himself of this right of access, he\n or she may, at any time, contact any employee of the controller.<\/p>\n<p>c) Right to rectification<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator to obtain from the controller without undue delay the \nrectification of inaccurate personal data concerning him or her. Taking \ninto account the purposes of the processing, the data subject shall have\n the right to have incomplete personal data completed, including by \nmeans of providing a supplementary statement.<\/p>\n<p>If a data subject wishes to exercise this right to rectification, he \nor she may, at any time, contact any employee of the controller.<\/p>\n<p>d) Right to erasure (Right to be forgotten)<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator to obtain from the controller the erasure of personal data \nconcerning him or her without undue delay, and the controller shall have\n the obligation to erase personal data without undue delay where one of \nthe following grounds applies, as long as the processing is not \nnecessary:<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The personal data are no longer necessary in relation to the purposes for which they were collected or otherwise processed.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The data subject withdraws consent to which the processing is \nbased according to point (a) of Article 6(1) of the GDPR, or point (a) \nof Article 9(2) of the GDPR, and where there is no other legal ground \nfor the processing.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The data subject objects to the processing pursuant to Article \n21(1) of the GDPR and there are no overriding legitimate grounds for the\n processing, or the data subject objects to the processing pursuant to \nArticle 21(2) of the GDPR.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The personal data have been unlawfully processed.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The personal data must be erased for compliance with a legal \nobligation in Union or Member State law to which the controller is \nsubject.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The personal data have been collected in relation to the offer \nof information society services referred to in Article 8(1) of the GDPR.<\/p>\n<p>If one of the aforementioned reasons applies, and a data subject \nwishes to request the erasure of personal data stored by HCG \u2013 Hazard \nControl GmbH, he or she may, at any time, contact any employee of the \ncontroller. An employee of HCG \u2013 Hazard Control GmbH shall promptly \nensure that the erasure request is complied with immediately.<\/p>\n<p>Where the controller has made personal data public and is obliged \npursuant to Article 17(1) to erase the personal data, the controller, \ntaking account of available technology and the cost of implementation, \nshall take reasonable steps, including technical measures, to inform \nother controllers processing the personal data that the data subject has\n requested erasure by such controllers of any links to, or copy or \nreplication of, those personal data, as far as processing is not \nrequired. An employee of HCG \u2013 Hazard Control GmbH will arrange the \nnecessary measures in individual cases.<\/p>\n<p>e) Right of restriction of processing<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator to obtain from the controller restriction of processing where\n one of the following applies:<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The accuracy of the personal data is contested by the data \nsubject, for a period enabling the controller to verify the accuracy of \nthe personal data.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The processing is unlawful and the data subject opposes the \nerasure of the personal data and requests instead the restriction of \ntheir use instead.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The controller no longer needs the personal data for the \npurposes of the processing, but they are required by the data subject \nfor the establishment, exercise or defence of legal claims.<\/p>\n<p>o&nbsp;&nbsp; &nbsp;The data subject has objected to processing pursuant to Article \n21(1) of the GDPR pending the verification whether the legitimate \ngrounds of the controller override those of the data subject.<\/p>\n<p>If one of the aforementioned conditions is met, and a data subject \nwishes to request the restriction of the processing of personal data \nstored by HCG \u2013 Hazard Control GmbH, he or she may at any time contact \nany employee of the controller. The employee of HCG \u2013 Hazard Control \nGmbH will arrange the restriction of the processing.<\/p>\n<p>f) Right to data portability<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator, to receive the personal data concerning him or her, which \nwas provided to a controller, in a structured, commonly used and \nmachine-readable format. He or she shall have the right to transmit \nthose data to another controller without hindrance from the controller \nto which the personal data have been provided, as long as the processing\n is based on consent pursuant to point (a) of Article 6(1) of the GDPR \nor point (a) of Article 9(2) of the GDPR, or on a contract pursuant to \npoint (b) of Article 6(1) of the GDPR, and the processing is carried out\n by automated means, as long as the processing is not necessary for the \nperformance of a task carried out in the public interest or in the \nexercise of official authority vested in the controller.<\/p>\n<p>Furthermore, in exercising his or her right to data portability \npursuant to Article 20(1) of the GDPR, the data subject shall have the \nright to have personal data transmitted directly from one controller to \nanother, where technically feasible and when doing so does not adversely\n affect the rights and freedoms of others.<\/p>\n<p>In order to assert the right to data portability, the data subject may at any time contact any employee of Hazard Control GmbH.<\/p>\n<p>g) Right to object<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator to object, on grounds relating to his or her particular \nsituation, at any time, to processing of personal data concerning him or\n her, which is based on point (e) or (f) of Article 6(1) of the GDPR. \nThis also applies to profiling based on these provisions.<\/p>\n<p>HCG \u2013 Hazard Control GmbH shall no longer process the personal data \nin the event of the objection, unless we can demonstrate compelling \nlegitimate grounds for the processing which override the interests, \nrights and freedoms of the data subject, or for the establishment, \nexercise or defence of legal claims.<\/p>\n<p>If HCG \u2013 Hazard Control GmbH processes personal data for direct \nmarketing purposes, the data subject shall have the right to object at \nany time to processing of personal data concerning him or her for such \nmarketing. This applies to profiling to the extent that it is related to\n such direct marketing. If the data subject objects to HCG \u2013 Hazard \nControl GmbH to the processing for direct marketing purposes, HCG \u2013 \nHazard Control GmbH will no longer process the personal data for these \npurposes.<\/p>\n<p>In addition, the data subject has the right, on grounds relating to \nhis or her particular situation, to object to processing of personal \ndata concerning him or her by HCG \u2013 Hazard Control GmbH for scientific \nor historical research purposes, or for statistical purposes pursuant to\n Article 89(1) of the GDPR, unless the processing is necessary for the \nperformance of a task carried out for reasons of public interest.<\/p>\n<p>In order to exercise the right to object, the data subject may \ncontact any employee of HCG \u2013 Hazard Control GmbH. In addition, the data\n subject is free in the context of the use of information society \nservices, and notwithstanding Directive 2002\/58\/EC, to use his or her \nright to object by automated means using technical specifications.<\/p>\n<p>h) Automated individual decision-making, including profiling<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator not to be subject to a decision based solely on automated \nprocessing, including profiling, which produces legal effects concerning\n him or her, or similarly significantly affects him or her, as long as \nthe decision (1) is not is necessary for entering into, or the \nperformance of, a contract between the data subject and a data \ncontroller, or (2) is not authorised by Union or Member State law to \nwhich the controller is subject and which also lays down suitable \nmeasures to safeguard the data subject\u2019s rights and freedoms and \nlegitimate interests, or (3) is not based on the data subject\u2019s explicit\n consent.<\/p>\n<p>If the decision (1) is necessary for entering into, or the \nperformance of, a contract between the data subject and a data \ncontroller, or (2) it is based on the data subject\u2019s explicit consent, \nHCG \u2013 Hazard Control GmbH shall implement suitable measures to safeguard\n the data subject\u2019s rights and freedoms and legitimate interests, at \nleast the right to obtain human intervention on the part of the \ncontroller, to express his or her point of view and contest the \ndecision.<\/p>\n<p>If the data subject wishes to exercise the rights concerning \nautomated individual decision-making, he or she may, at any time, \ncontact any employee of HCG \u2013 Hazard Control GmbH.<\/p>\n<p>i) Right to withdraw data protection consent<\/p>\n<p>Each data subject shall have the right granted by the European \nlegislator to withdraw his or her consent to processing of his or her \npersonal data at any time.<\/p>\n<p>If the data subject wishes to exercise the right to withdraw the \nconsent, he or she may, at any time, contact any employee of HCG \u2013 \nHazard Control GmbH.<\/p>\n<p>8. Data protection provisions about the application and use of Google Analytics (with anonymization function)<\/p>\n<p>On this website, the controller has integrated the component of \nGoogle Analytics (with the anonymizer function). Google Analytics is a \nweb analytics service. Web analytics is the collection, gathering, and \nanalysis of data about the behavior of visitors to websites. A web \nanalysis service collects, inter alia, data about the website from which\n a person has come (the so-called referrer), which sub-pages were \nvisited, or how often and for what duration a sub-page was viewed. Web \nanalytics are mainly used for the optimization of a website and in order\n to carry out a cost-benefit analysis of Internet advertising.<\/p>\n<p>The operator of the Google Analytics component is Google Ireland \nLimited, Gordon House, Barrow Street, Dublin, D04 E5W5, Ireland.<\/p>\n<p>For the web analytics through Google Analytics the controller uses \nthe application \u201c_gat. _anonymizeIp\u201d. By means of this application the \nIP address of the Internet connection of the data subject is abridged by\n Google and anonymised when accessing our websites from a Member State \nof the European Union or another Contracting State to the Agreement on \nthe European Economic Area.<\/p>\n<p>The purpose of the Google Analytics component is to analyze the \ntraffic on our website. Google uses the collected data and information, \ninter alia, to evaluate the use of our website and to provide online \nreports, which show the activities on our websites, and to provide other\n services concerning the use of our Internet site for us.<\/p>\n<p>Google Analytics places a cookie on the information technology system\n of the data subject. The definition of cookies is explained above. With\n the setting of the cookie, Google is enabled to analyze the use of our \nwebsite. With each call-up to one of the individual pages of this \nInternet site, which is operated by the controller and into which a \nGoogle Analytics component was integrated, the Internet browser on the \ninformation technology system of the data subject will automatically \nsubmit data through the Google Analytics component for the purpose of \nonline advertising and the settlement of commissions to Google. During \nthe course of this technical procedure, the enterprise Google gains \nknowledge of personal information, such as the IP address of the data \nsubject, which serves Google, inter alia, to understand the origin of \nvisitors and clicks, and subsequently create commission settlements.<\/p>\n<p>The cookie is used to store personal information, such as the access \ntime, the location from which the access was made, and the frequency of \nvisits of our website by the data subject. With each visit to our \nInternet site, such personal data, including the IP address of the \nInternet access used by the data subject, will be transmitted to Google \nin the United States of America. These personal data are stored by \nGoogle in the United States of America. Google may pass these personal \ndata collected through the technical procedure to third parties.<\/p>\n<p>The data subject may, as stated above, prevent the setting of cookies\n through our website at any time by means of a corresponding adjustment \nof the web browser used and thus permanently deny the setting of \ncookies. Such an adjustment to the Internet browser used would also \nprevent Google Analytics from setting a cookie on the information \ntechnology system of the data subject. In addition, cookies already in \nuse by Google Analytics may be deleted at any time via a web browser or \nother software programs.<\/p>\n<p>In addition, the data subject has the possibility of objecting to a \ncollection of data that are generated by Google Analytics, which is \nrelated to the use of this website, as well as the processing of this \ndata by Google and the chance to preclude any such. For this purpose, \nthe data subject must download a browser add-on under the link \nhttps:\/\/tools.google.com\/dlpage\/gaoptout and install it. This browser \nadd-on tells Google Analytics through a JavaScript, that any data and \ninformation about the visits of Internet pages may not be transmitted to\n Google Analytics. The installation of the browser add-ons is considered\n an objection by Google. If the information technology system of the \ndata subject is later deleted, formatted, or newly installed, then the \ndata subject must reinstall the browser add-ons to disable Google \nAnalytics. If the browser add-on was uninstalled by the data subject or \nany other person who is attributable to their sphere of competence, or \nis disabled, it is possible to execute the reinstallation or \nreactivation of the browser add-ons.<\/p>\n<p>Further information and the applicable data protection provisions of \nGoogle may be retrieved under \nhttps:\/\/www.google.com\/intl\/en\/policies\/privacy\/ and under \nhttp:\/\/www.google.com\/analytics\/terms\/us.html. Google Analytics is \nfurther explained under the following Link \nhttps:\/\/www.google.com\/analytics\/.<\/p>\n<p>9. Legal basis for the processing<\/p>\n<p>Art. 6(1) lit. a GDPR serves as the legal basis for processing \noperations for which we obtain consent for a specific processing \npurpose. If the processing of personal data is necessary for the \nperformance of a contract to which the data subject is party, as is the \ncase, for example, when processing operations are necessary for the \nsupply of goods or to provide any other service, the processing is based\n on Article 6(1) lit. b GDPR. The same applies to such processing \noperations which are necessary for carrying out pre-contractual \nmeasures, for example in the case of inquiries concerning our products \nor services. Is our company subject to a legal obligation by which \nprocessing of personal data is required, such as for the fulfillment of \ntax obligations, the processing is based on Art. 6(1) lit. c GDPR. In \nrare cases, the processing of personal data may be necessary to protect \nthe vital interests of the data subject or of another natural person. \nThis would be the case, for example, if a visitor were injured in our \ncompany and his name, age, health insurance data or other vital \ninformation would have to be passed on to a doctor, hospital or other \nthird party. Then the processing would be based on Art. 6(1) lit. d \nGDPR. Finally, processing operations could be based on Article 6(1) lit.\n f GDPR. This legal basis is used for processing operations which are \nnot covered by any of the abovementioned legal grounds, if processing is\n necessary for the purposes of the legitimate interests pursued by our \ncompany or by a third party, except where such interests are overridden \nby the interests or fundamental rights and freedoms of the data subject \nwhich require protection of personal data. Such processing operations \nare particularly permissible because they have been specifically \nmentioned by the European legislator. He considered that a legitimate \ninterest could be assumed if the data subject is a client of the \ncontroller (Recital 47 Sentence 2 GDPR).<\/p>\n<p>10. The legitimate interests pursued by the controller or by a third party<\/p>\n<p>Where the processing of personal data is based on Article 6(1) lit. f\n GDPR our legitimate interest is to carry out our business in favor of \nthe well-being of all our employees and the shareholders.<\/p>\n<p>11. Period for which the personal data will be stored<\/p>\n<p>The criteria used to determine the period of storage of personal data\n is the respective statutory retention period. After expiration of that \nperiod, the corresponding data is routinely deleted, as long as it is no\n longer necessary for the fulfillment of the contract or the initiation \nof a contract.<\/p>\n<p>12. Provision of personal data as statutory or contractual \nrequirement; Requirement necessary to enter into a contract; Obligation \nof the data subject to provide the personal data; possible consequences \nof failure to provide such data<\/p>\n<p>We clarify that the provision of personal data is partly required by \nlaw (e.g. tax regulations) or can also result from contractual \nprovisions (e.g. information on the contractual partner). Sometimes it \nmay be necessary to conclude a contract that the data subject provides \nus with personal data, which must subsequently be processed by us. The \ndata subject is, for example, obliged to provide us with personal data \nwhen our company signs a contract with him or her. The non-provision of \nthe personal data would have the consequence that the contract with the \ndata subject could not be concluded. Before personal data is provided by\n the data subject, the data subject must contact any employee. The \nemployee clarifies to the data subject whether the provision of the \npersonal data is required by law or contract or is necessary for the \nconclusion of the contract, whether there is an obligation to provide \nthe personal data and the consequences of non-provision of the personal \ndata.<\/p>\n<p>13. Existence of automated decision-making<\/p>\n<p>As a responsible company, we do not use automatic decision-making or profiling.<\/p>\n<p>This Privacy Policy has been generated by the Privacy Policy \nGenerator of the German Association for Data Protection that was \ndeveloped in cooperation with Privacy Lawyers from WILDE BEUGER \nSOLMECKE, Cologne.<\/p><\/div>\n\t\t\t\t<\/div>\n\t\t\t\t<\/div>\n\t\t\t\t\t\t<\/div>\n\t\t\t\t\t<\/div>\n\t\t<\/div>\n\t\t\t\t\t\t\t\t<\/div>\n\t\t\t\t\t<\/div>\n\t\t<\/section><\/div>\n\t\t\t\t<\/div>\n\t\t\t\t<\/div>\n\t\t\t\t\t\t<\/div>\n\t\t\t\t\t<\/div>\n\t\t<\/div>\n\t\t\t\t\t\t\t\t<\/div>\n\t\t\t\t\t<\/div>\n\t\t<\/section>\n\t\t\t\t\t\t<\/div>\n\t\t\t\t\t\t<\/div>\n\t\t\t\t\t<\/div>","protected":false},"excerpt":{"rendered":"<p>Privacy Policy Privacy Policy Data protection is of a particularly high priority for the management of HCG \u2013 Hazard Control GmbH. The use of the Internet pages of HCG \u2013 Hazard Control GmbH is possible without any indication of personal data; however, if a data subject wants to use special enterprise services via our website, &hellip;<\/p>\n<p class=\"read-more\"> <a class=\"\" href=\"https:\/\/cwacenter.com\/de\/privacy-policy\/\"> <span class=\"screen-reader-text\">Datenschutz<\/span> Read More &raquo;<\/a><\/p>","protected":false},"author":1,"featured_media":2847,"parent":0,"menu_order":0,"comment_status":"closed","ping_status":"closed","template":"elementor_header_footer","meta":[],"_links":{"self":[{"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/pages\/721"}],"collection":[{"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/pages"}],"about":[{"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/types\/page"}],"author":[{"embeddable":true,"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/comments?post=721"}],"version-history":[{"count":0,"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/pages\/721\/revisions"}],"wp:featuredmedia":[{"embeddable":true,"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/media\/2847"}],"wp:attachment":[{"href":"https:\/\/cwacenter.com\/de\/wp-json\/wp\/v2\/media?parent=721"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}