Suitsuit International B.V., registered in The Hague, in the chamber of commerce under number 27373465, is responsible of processing personal data as set forth in this privacy statement:
For questions or inquiries about this privacy statement you can contact our personal data officer is via firstname.lastname@example.org
Article 1: Personal data
Suitsuit International B.V. processes personal data of customers. The general categories of personal data that Suitsuit International B.V. may process includes the following:
- sur- and last name;
- phone number;
- e-mail address;
- data about the use of the customer of the website and services of Suitsuit International B.V.;
Article 2: The purposes for which personal data is processed
Suitsuit International B.V. processes personal data of customers for the following purposes:
- For the purpose of supplying the purchased goods and services and keeping proper records of those transactions..
- For processing orders and informing customers about the course of the order.
- For the purposes of communicating with customers and record-keeping.
- For the purpose of collecting information relating to customer relationships, including customer contact information.
- Where necessary for the establishment, exercise or defense of legal claims, whether in court proceedings or in an administrative or out-of-court procedure.
- For the purpose of subscribing to email notifications and/or newsletters.
- For the purposes of analyzing the use of the website and services.
- For the purpose of supplying the purchased goods and services and keeping proper records of those transactions.
- For the purposes of operating the website, providing services, ensuring the security of the website and services, maintaining back-ups of the databases.
- To ensure the identity of the customer.
- For the purpose of payment obligations of the customer.
Article 3: Providing personal data to others
Suitsuit International B.V. may disclose personal data insofar as reasonably necessary for the purposes, and on the legal bases, set out in this policy.
Suitsuit International B.V. may disclose personal data to one or more of those selected third party suppliers of goods and services identified on the website for the purpose of enabling them to contact customers.
Each such third party will act as a data controller in relation to the enquiry data that Suitsuit International B.V. supplies to it; and upon contacting a customer, each such third party will only do so when commissioned by Suitsuit International B.V. or/and by the customer.
Article 4: Term of retaining personal data
Personal data that Suitsuit International B.V. processes for any purpose or purposes shall not be kept for longer than is necessary for that purpose or those purposes.
Article 5: Managing cookies
Browsers allow customers to block or delete cookies.
Article 6: To access, rectify or erase personal data
Every customer has the right to access, rectify or erase personal data.
Every customer has a personal profile on the website where they can access, rectify or erase personal data.
When a customer deletes his personal profile, all the information will be deleted from the database of Suitsuit International B.V.
To the extent that the legal basis for processing of the personal information is consent, the customer has the right to withdraw that consent at any time. Withdrawal will not affect the lawfulness of processing before the withdrawal.
Article 7: Security of personal data
Suitsuit International B.V. is committed to safeguarding the privacy of customers.
Suitsuit International B.V. will do everything in her power to prevent misconduct, loss, fraudulent use or unwanted disclosure.
When the customer is under the impression that the data protection services of Suitsuit International B.V. isn’t sufficient Suitsuit International B.V. advises to contact the customer service of Suitsuit International B.V.
If the customer considers that personal information infringes data protection laws, they have the legal right to lodge a complaint with a supervisory authority responsible for data protection. The customer may do so in the EU member state of his habitual residence, the place of work or the place of the alleged infringement.