Communication of data. Update of company data and contact persons The Co-contractor undertakes to fully and accurately communicate his data to Recupel via the declaration portal and via the identification form and ensures that he will immediately inform Xxxxxxx of any change in the data (or adapt them himself). This obligation applies for both the data of the company (“the Co-contractor”), and for the data of the contact persons who were designated to represent the Co-contractor for the declarations, audits, invoicing and the WEEE Report. Recupel cannot be held liable for any harm suffered as a result of the late adaptation of these data by the Co- contractor. Modified data can only be invoked against Recupel if this modification is made via the declaration portal made available by Recupel or via the email address xxxxxxxxxxxx@xxxxxxx.xx. If the Co-contractor, due to certain circumstances, does not have access to the declaration portal or wishes to communicate to Recupel other data than those which can be entered on the declaration portal, the Co-contractor must contact Recupel via the contact form available on the Website specified by Recupel or via xxxxxxxxxxxx@xxxxxxx.xx.
Communication of data. Transfer of data abroad Personal data collected may be communicated, according to specific competences, to customers, public administrations, for the fulfilment of institutional functions, to banking institutions, to parties specialising in the management of information systems and/or of payment systems, to parties providing transport or delivery services, to law firms and consultants, to parties responsible for keeping accounts or auditing the financial statements of Esprinet or to public authorities in compliance with the legislation. Personal data shall not disseminated under any circumstances. The possible transfer of data to non-EU service providers is regulated by specific agreements that require the recipient to comply with the appropriate guarantees provided for by current legislation.
Communication of data. The security of the communications infrastructure should be reviewed to ensure that the new paths over which patient / service user identifiable healthcare or social care data are transferred meet the requirements of local and national data protection legislation.
Communication of data. Communication of the Personal Data must take place on secure lines. Personal Data transferred outside a closed network controlled by the Data Controller must be protected by encryption.
Communication of data. Personal data may be communicated to third parties only for purposes directly related to the legitimate functions of the transferor and transferee with the prior consent of the data subject, except if the transfer is authorized by law, done under legal relationships, data come from public sources, or health data transfer is necessary for resolving an emergency.
Communication of data. The Data may be processed mainly by Tarros employees or collaborators, under specific instructions about the purposes and methods of processing. Data collected through the Platform may also be communicated to services companies for technical and IT purposes (e.g., programmers, system engineers and database administrators, etc.).
Communication of data. Transfer of data abroad