PURPOSES OF PROCESSING |
LEGAL BASIS OF PROCESSING |
PERIOD FOR WHICH PERSONAL DATA WILL BE STORED |
Purchase of goods or services online, management of defect-reporting and complaint handling, customer care. |
Execution of a contract involving the data subject. |
Retained during the term of the contract with the customer, up to 6 years after the end of the financial year in which the transaction takes place.
However, to the extent these records are relevant for tax purposes, tax law applies e.g. minimum retention periods for customs may apply. Although
the retention period for customs documents is usually a minimum of 4 years (for duty and tax purposes and for government statistics), it is recommended
that the VAT system is followed. This requires documents to be kept for 6 years. Retained up to 7 years (but specific requirements may apply in
certain fields, with respect to certain records and/or with respect to requests from certain public bodies or agencies). |
To fulfill regulatory and legal obligations as foreseen by applicable national and international laws. |
Necessity to fulfill an obligation imposed by law. |
No statutory retention requirement. Data need to be erased if they are no longer necessary in relation to the purposes for which they are collected.
Recommended 6-year retention period. |
If necessary to ascertain, exercise and/or safeguard Company rights in legal proceedings. |
Legitimate interest. |
No statutory retention requirement. Data need to be erased if they are no longer necessary in relation to the purposes for which they are collected.
Recommended 6-year retention period. |
Out-of-court debt recovery. |
Legitimate interest. |
No statutory retention requirement in relation to the purposes of marketing initiatives management. Data need to be erased if they are no longer necessary
in relation to these purposes. No statutory retention requirement in relation to client relationship management. Data need to be erased if they are no
longer necessary in relation to this purpose. |
Registration at the website https://www.bottegadelsarto.com ; signing up for any loyalty programmes and/or logging of data in the Company’s CRM database. |
Consent optional and revocable at any time such a withdrawal will not affect the lawfulness of the processing prior to the consent withdrawal. |
No statutory retention requirement in relation to the purposes of marketing initiatives management. Data need to be erased if they are no longer necessary
in relation to these purposes. With respect to direct marketing, data must be deleted when the recipient of marketing communications exercises the right
to opt-out (although information which is necessary to demonstrate compliance with the opt-out request must be retained).No statutory retention requirement
in relation to the purposes of marketing initiatives management. Data need to be erased if they are no longer necessary in relation to these purposes.
With respect to direct marketing, data must be deleted when the recipient of marketing communications exercises the right to opt-out (although information
which is necessary to demonstrate compliance with the opt-out request must be retained). |
Implementation of any exclusive services requested (gift cards, order tracking, wish-list, full satisfaction or money-back guarantees, etc). Participation
in contests, events, prize-giving operations, loyalty programmes and online sales campaigns or via social media. |
Consent (optional and revocable at any time Such a withdrawal will not affect the lawfulness of the processing prior to the consent withdrawal. |
No statutory retention requirement in relation to the purposes of marketing initiatives management. Data need to be erased if they are no longer necessary
in relation to these purposes. With respect to direct marketing, data must be deleted when the recipient of marketing communications exercises the right
to opt-out (although information which is necessary to demonstrate compliance with the opt-out request must be retained). |
Direct marketing purposes: for instance, sending via automatic contact methods (such as by text messaging, MMS, e-mail, social networks, instant messaging apps
and push notifications) and traditional contact methods (such as by post and telephone calls with operators) – promotional and commercial communications relating
to services/products on offer by the Company or the announcement of company events, measuring levels of customer satisfaction, and conducting market surveys and
statistical analyses. |
Consent (optional and revocable at any time Such a withdrawal will not affect the lawfulness of the processing prior to the consent withdrawal. |
No statutory retention requirement in relation to the purposes of marketing initiatives management. Data need to be erased if they are no longer necessary in
relation to these purposes. With respect to direct marketing, data must be deleted when the recipient of marketing communications exercises the right to opt-out
(although information which is necessary to demonstrate compliance with the opt-out request must be retained). |
Purposes of profiling: analysing your preferences, habits, behaviour and interests, including the storing of cookies on your computer’s hard drive (e.g. analysing your
browsing activity, tracking selected products and the contents of your virtual shopping cart, etc. See our cookie policy at the https://www.bottegadelsarto.com home page)
so that we can send you personalised commercial communications/targeted promotional campaigns/offers and services suited to your needs/preferences via automatic contact
methods (such as by text messaging, MMS, e-mail, social networks, instant messaging apps and push notifications) and traditional contact methods (such as by post and
telephone calls with operators. |
Consent (optional and revocable at any time Such a withdrawal will not affect the lawfulness of the processing prior to the consent withdrawal |
No statutory retention requirement in relation to the purpose of profiling linked to direct marketing. Data need to be erased if they are no longer necessary in relation
to that purpose. Data must be deleted when the data subject concerned with profiling exercises the right to opt-out (although information which is necessary to demonstrate
compliance with the opt-out request must be retained). |