SUPPORT
on the collection and processing of personal data by Termál Hotel Vesta

DEAR GUEST! DEAR VISITOR!
* Introduction:
The Thermal Hotel Vesta is a 4-star, full-service hotel with a wellness spa (hereinafter referred to as the “Hotel”) located at 1/a Gyógyfürdő út, 2251 Tápiószecső, Hungary. The operator of the hotel (hereinafter referred to as the “Data Controller”) is Magdolna Lakópark Kft.
The purpose of this Privacy Policy (hereinafter referred to as “Policy”) is to inform the natural persons using or intending to use the services of the Hotel or visiting, entering or staying at the Hotel (hereinafter collectively: “Data Subjects”, in accordance with the applicable legal provisions, the Controller shall provide information on the processing of data that it collects in connection with the provision of the Hotel’s services and that constitute personal data, on the purposes and legal basis of the processing, on the identity and contact details of the controller and processor(s), and on basic information on the processing.
The Notice also aims to inform the Data Subjects:
* know their rights in relation to the processing of their data,
* be informed about who and how to contact with requests and questions concerning the processing of their personal data, from whom they can obtain the requested information and within how long,
* if they consider that they have been adversely affected by the processing, for example, if they have not been adequately informed about or do not agree with the processing or if they consider that the processing of their personal data is unlawful, to whom they can lodge a complaint or seek redress.
In our information, we aim to summarise the above in a clear and understandable form so that our Guests and Visitors (Data Subjects) who contact us can understand how the recording, storage and other data processing operations carried out on their data, which are considered personal data when contacting or communicating with the Hotel or using one of our services, may affect their right to information self-determination and privacy.
1. Data Controller
* Name of data controller: Magdolna Lakópark Korlátolt Felelősségű Társaság
* Headquarters: a 2251 Tápiószecső, Gyógyfürdő út 1/a
* Actual place of data processing: Termál Hotel Vesta a 2251 Tápiószecső, Gyógyfürdő út 1/a
* Data Controller’s web addresses: www.vestahotel.hu
* Company registration number: 01-09-332180
* Tax number: 22922300-2-13
* Phone number: 06-20/452-0788
* e-mail address: info@vestahotel.hu
* Legal representative: Zoltán Varga (independent)

2. The main legislation on data management:
The Data Controller’s data management activities are carried out in accordance with the applicable European Union and national legislation, in particular:
* 05.25. with effect from: Regulation (EU) No 2016/679 of the European Parliament and of the Council of 22 December 2016 on the protection of natural persons with regard to the processing of personal data and on the free movement of such data, and repealing Regulation (EC) No 95/46/EC (OJ L 158, 30.6.2016, p. 1). Regulation (“GDPR”)
* Act CXII of 2011 on the Right to Informational Self-Determination and Freedom of Information (hereinafter: “Info Act”),
subject to the provisions of the other laws and regulations governing the conditions for the hotel business.
The Data Controller reserves the right to unilaterally amend the content of this Notice, in particular if justified by changes in legislation on data management or by the guidelines set out in the Recommendations issued by the National Authority for Data Protection and Freedom of Information to promote lawful data management practices.
In the event of changes to this Notice, we will ensure that we notify the Data Subjects of the changes in good time.
This Notice is available on the Hotel’s website www.vestahotel.hu (after opening the website, click on the “Privacy Policy” in the header to access this Notice) and is also available in printed form at the reception desk of the Hotel.
3. Certain data processing

* Personal data processed in the context of contacting the Hotel for information initiated by the Data Subject

* Stakeholders

All natural persons who contact the Data Controller orally and/or in writing (including electronic contact details) to obtain any information related to the Hotel or the services provided by the Hotel by providing personal data.
* The scope of the data processed and the purpose of the processing

personal data name Purpose of the processing Name Necessary for your identification and for appropriate contact. e-mail address Required to provide the information requested in your request. phone number You do not have to provide your phone number, it will be handled,
if you request a reply by short message or the possibility to be informed by short message
by providing the data. other personal data provided when requesting information (e.g. telephone number, age, number of children, age, etc.) You are not required to provide any other personal data in addition to the above
, but if you provide such data, the information you request will be more accurate
to help you serve and meet your needs. * Legal basis for processing
We process your personal data on the basis of your consent, which is deemed to have been given when you have contacted us with your personal data.
* Duration of processing
The Data Controller shall process the data processed for the purposes set out in this point until the consent is withdrawn, but not later than the purpose of the processing (until the purpose of the processing is fulfilled (answering your question or request for information).
You may withdraw your consent at any time by sending a statement to info@vestahotel.hu, without prejudice to the lawfulness of the processing that preceded it. If you withdraw your consent, we will not be able to provide you with the information you have requested or meet your other needs.

* Personal data processed in connection with a request for accommodation services, including related contact

* Stakeholders

All natural persons who contact the Hotel with a request for a quote.
* The scope of the data processed and the purpose of the processing
personal data purpose of processing name Necessary for your identification and contact. e-mail address Procedure and contacts relating to the call for tenders
is necessary for the efficient running of the. phone number You do not need to enter your phone number.
If you do, by using our services you can.
to answer related questions
we can also contact you by phone.
* Legal basis for processing
The legal basis for the processing is your consent and your data are necessary for the steps we take at your request prior to the conclusion of the contract (e.g. preparing an offer, contract, etc.);
* Duration of processing

We will process and retain your personal data until your consent is withdrawn, but no later than the expiry of the validity period of the offer you have requested.
You may withdraw your consent at any time by sending a statement to info@vestahotel.hu, without prejudice to the lawfulness of the processing that preceded it. If you withdraw your consent, we will not be able to make you an offer for our services.
* Processing of personal data related to accommodation reservations

* Stakeholders

Any natural person who makes a reservation for the services of the Hotel.
* The scope of the data processed and the purpose of the processing

If you make a reservation online, by phone or in person, we will ask you for the following personal information:
personal data the purpose of the processing name (first name, last name) for the purpose of your registration in the database (hotel management system)
to identify, contact, and recover
the necessary contract if you use the service
and our accounting obligations
necessary to meet. (invoicing)
Providing this information is a condition of the validity of the reservation. address (street, house number, city, country, postal code) For your identification and contact,
and, in the case of a charge back service, the
necessary to conclude a contract,
or to meet our accounting obligations
needed. (invoicing)
Providing this information is a condition of the validity of the reservation. e-mail address The booking process is efficient and effective
the necessary contacts for the implementation of the
necessary to ensure.
Providing this information is a condition of the validity of the reservation. telephone number Communication related to the reservation
is necessary to ensure the quick, efficient and effective implementation of,
and by using our services
to answer related questions
we can also contact you by phone.
Providing this information is a condition of the validity of the reservation. estimated time of arrival (hour/minute) This information is optional,
but if you do, it will help us
preparing the room to which the reservation relates,
the services requested in a timely manner,
at the highest level. number of rooms/adults/children Enter data to service your booking request
needed. other important data related to the booking/arrival Provision of this information
(any further disclosure of personal data)
optional data, optionally provided by you
your personal request only,
are needed to serve your needs. mother’s name This information is optional at the time of booking,
but no later than at the time of check-in at the accommodation
the relevant legal obligations
you are obliged to provide them. gender Place and date of entry Visa/ID document type Number Purpose of visit Payment method Payment of the service chargeable on return
necessary for the efficient running of the,
is a condition for access to the service. Bank card details(cardholder name, card number,
card type,
validity period,
card CVV) In case of advance payment, to identify the payment
and to take the necessary measures.
( to guarantee the reservation and the total amount of the reservation,
or part of it, regardless of the waiver)
* Legal basis for processing
The legal basis for the processing is your consent, and an additional legal basis is that the processing is necessary for the performance of a contract to which you are a party or for taking steps at your request prior to the conclusion of the contract (valid reservation, performance of related financial obligations, etc.);

* Duration of processing

We will process your personal data until your consent is withdrawn, if you are receiving a service in return, in which case for the period specified in the applicable accounting standards. (currently 8 years)
You may withdraw your consent at any time by sending an e-mail to info@vestahotel.hu, without prejudice to the lawfulness of the processing that preceded it, and certain personal data may continue to be processed in order to comply with our obligations under the applicable legal provisions.
If you withdraw your consent, you will not be able to use our services.

* Processing of personal data related to the use of accommodation services, check-in and tourist registration

* Stakeholders

All natural persons who use accommodation services as guests of the Hotel.
* Scope of data processed

personal data the purpose of the processing name (surname and forename); surname and forename at birth ; previous surname and forename ; signature In accordance with the relevant legislation
(so especially with the aliens police,
and in legislation on tourist tax)
to meet our obligations set out in,
and the information necessary to identify you as a contracting party
place and date of birth; sex mother’s maiden name and surname nationality(ies) or stateless status type and number of passport/ID document date of arrival and departure address telephone number Necessary for contacting you. e-mail address * Purpose of processing
Our hotel processes the personal data listed in this section for the purposes of fulfilling its obligations under applicable law (including, in particular, legislation on tourism and tourist tax), for the purposes of proof of fulfilment, and for the purposes of identifying and contacting you.
* Legal basis for processing
The legal basis for the processing is the fulfilment of the legal obligations relating to the service provider’s obligations in relation to the accommodation service, the need to perform a contract based on a contractual relationship to which you as the data subject are a party, and the processing is necessary for the performance of the contract, as well as your consent, which the partner contracting with our Hotel obtains itself in relation to its employees and contributors.
* Duration of processing
Data processed for the purposes set out in this point shall be kept by the Data Controller for 8 years in respect of documents relating to accounting and taxation, and for 6 years after the contractual relationship has been concluded in other respects (e.g. data relating to the obligation to report tourist tax).
* Processors who process the data

Name Place of residence Scope of data transferred for processing Data processing task thePass Kft. 1061 Budapest, Király u. 30-32. A. intact. 105. any and all of the information referred to in 3.4.2. at
specified data IT service hosting service cloud hotel management system operation (Sabee app)
* Guest questionnaire and rating system, including personal data processed in connection with complaint handling

 

 

* Stakeholders

Any natural person who provides a review of the hotel services on the form provided for this purpose, as well as any other form of opinion/complaint, whether verbal or written.
* Scope of data processed
personal data Purpose of processing Name Evaluating our service,
giving an opinion or making a complaint in connection with
identification of the person who drafted it,
to ensure the possibility to stay in touch,
including the action taken on the complaint
e-mail address signature other personal data provided by the Data Subject in the course of the complaint To ensure a factual and complete investigation of the complaint,
the “content” elements put forward by the Data Subject
can have a significant impact on. .
* Purpose of the processing
Collecting comments on the quality of the services provided by the Hotel, measuring and evaluating customer satisfaction, and investigating and handling complaints appropriately.
* Legal basis for processing
The legal basis for the processing is your consent, which is also the basis for the Hotel to take further measures, if necessary, at your request, to deal with your complaint appropriately or to remedy it.

* Duration of processing
We will keep your data under 3.5.2 for 1 year, or in the case of a complaint, for 5 years from the date of the complaint or the date of the response to the complaint.
* Processors who process the data

With regard to the processing of data under point 3.5, the involvement of a data processor is only for the purpose of processing electronic submissions that constitute complaints, in order to ensure the technical background for such processing.

* Personal data processed in connection with the operation of a closed circuit camera system

* Stakeholders

Any natural person who enters the hotel building or any area/part of the building equipped with cameras.

 

 

 

* Scope of data processed

personal data the purpose of the processing of which is the taking of photographs, including of the attire, movements and behaviour of the data subject Personal data protection and protection of property, representing significant value
protecting the assets and valuables of the guests,
prevention and deterrence of unlawful acts
and detection (by the competent and competent
for use in proceedings by public authorities and other bodies
providing evidence)
For more information about the data management related to the camera system, please contact the Hotel Reception staff or, if you have any questions, please send an e-mail to info@vestahotel.hu.
* Purpose of the processing
The purpose of the use of the camera system is to ensure the safety of persons and property, to prevent, prevent and detect emergencies (technical and other dangerous situations), illegal acts and to protect the property of the Hotel and its Guests by recording camera footage in the Hotel.
The recordings may be used as a legal protection tool for the Data Subjects or the Hotel in criminal, administrative or other proceedings initiated by the authorities or courts for violations committed at the place of recording, in particular for criminal offences or misdemeanours, and in such cases the camera recordings may be used in the course of enforcement of the law within the framework of the legal provisions and possibilities.
The location of the areas monitored by each camera (the location and angle of view of the cameras) and the purpose and reason for using each camera are specified on a separate camera map, which is also available in printed form at the Hotel information desk.
* Location of cameras and the areas they monitor
* Ground floor
* Restaurant
* Wellness spaces
* Legal basis for processing
The legal basis for data processing is the Magdolna Lakópark Kft. – as the responsible operator of the hotel, has a legitimate interest in the safety and security of persons and property, which has been demonstrated by the data controller by carrying out a balancing of interests test. Data processing also serves the legitimate interests of the Hotel’s guests and visitors.

 

 

* Duration of processing
30 (thirty) calendar days (i.e. 30 x 24 hours) from the date of recording by the closed circuit camera system, after which unused recordings will be immediately (automatically) deleted by the camera system so that they can no longer be recovered.
Storage of images recorded by the camera system: server equipment located in the Hotel building.
* Who can access the data?
The Hotel Operator, as the Data Controller, ensures that the personal data of the Data Subjects recorded by the camera system is protected from unauthorized access at all times.
Access to the recordings made by the camera system shall be restricted to the Data Controller’s Managing Director or a person authorised by him or her and the authorised – 3.6.8. may be accessed by the data processor indicated in point (a), the latter only to the extent necessary to fulfil its obligations under its contract for the operation of the camera system.
The person(s) authorised to access the data are entitled to access the recordings in order to prevent situations endangering life, limb or health and to prevent and remedy such situations as soon as possible, to prevent or interrupt an offence for reasons of property protection and to detect the offender(s), and may only transmit the recordings to the Data Subject, the Operator, a court, a law enforcement or other authority.
A third party whose right or legitimate interest is affected by the recording recorded by the camera system may request within 30 (thirty) days of the recording that the data not be destroyed or deleted by the data controller, by providing evidence of his or her right or legitimate interest.
The transfer of the recordings made by the camera system to the authorities or courts may only take place in cases prescribed by law and after the proper justification of the legal basis for data processing of the person requesting the recording.
The data controller shall keep a record of the restriction and transfer/transmission of data (the latter means the transfer of the restricted camera recordings on a mobile data carrier /USB, DVD/). The recordings must be deleted immediately after the transfer has taken place.
If we receive a request from a data controller to prevent the deletion of a camera recording – i.e. to restrict the recording – before the expiry of the 30-day storage period, we will restrict (copy to an external storage medium) the requested recording and, after verification of the right, we will provide it to the data requester.
If the person or authority or court requesting the restriction does not come forward within 6 (six) months of receipt of the request for restriction to receive or send the data subject to the restriction, we will destroy the data subject to the restriction (camera recordings) immediately after the expiry of the 6-month period.
A record of the access to the recordings made by the camera system will be made, which must contain the data necessary to identify the recorded recording, the name of the person authorised to access it, and the reason and time of access.
At the entrances of the Hotel, a pictogram draws attention to the use of the camera system, which also indicates the contact details of the Data Controller (Hotel).
* Processors who process the data

* Community sites
Our hotel is also available on social media (Facebook, Instagram, Twitter)
You can subscribe to news feeds posted on social networking sites by clicking on the “like” link on the site, unsubscribe by clicking on the “dislike” link on the same site, or delete unwanted news on the message board by using the message board settings.
Based on your prior and voluntary consent (subscription), you may access your profile created on a social networking site, but you will not record it for data management purposes or perform any data management operations on it.
Facebook, Instagram and Twitter are independent, separate data controllers and you can find information about their data processing at the links below.
* https://www.facebook.com/policies/cookies/
* https://www.facebook.com/about/privacy/update
* help.instagram.com
* https://twitter.com/en/privacy
* Cookie management
Some websites use cookies to make them easier to operate, to facilitate their use, to track activity and to display relevant offers.
* What is a cookie?
A cookie is a small packet of data that internet services store in your browser. Technology is essential for an efficient and modern online service that is supported by all browsers today.
* What cookies are used by data controllers and for what purpose?
Data Controllers may use cookies for the following purposes
* website development,
* facilitate your navigation through the site and use of its features to ensure a seamless user experience,
* collect information about how you use the site – by measuring which parts of our website you visit or use most – so we can learn how to provide you with an even better experience when you visit our site again.
* Types of cookies used by the Hotel
Our hotel does not use cookies to operate this website.
For information on the cookies used by the social networking sites referred to in section 3.7 as independent data controllers, please refer to the privacy notice provided in that section.
* How can you check and turn off cookies?
All modern browsers allow you to change your cookie settings. Most browsers automatically accept cookies by default, but these settings can usually be changed so that the browser can prevent automatic acceptance and offer you the choice of whether to allow cookies each time.
Please note that because cookies are intended to facilitate or enable the usability and processes of our website, if you prevent or delete cookies, you may not be able to use the full functionality of a website or the website may not function as intended in your browser.

 

You can find out about cookie settings for the most popular browsers by following the links below:
* Google Chrome
* Firefox
* Microsoft Internet Explorer
* Microsoft Edge
* Safari
4. Data security measures

* Ensuring basic conditions for data security

As a data controller, our hotel ensures appropriate data protection by internal regulations (defining rules on data and confidentiality protection, information security, access rights), by operating a state-of-the-art IT system, and by organizational and training measures.
We select and operate the computing tools used for data processing in such a way that the data processed is always secure for you and other Data Subjects:
1. access (availability),
2. credibility,
3. the integrity of the data
4. protection against unauthorised access (confidentiality of data).
The processing of data is ensured by the IT system:
* (taking into account the potential risks of data processing),
* protection (all elements of the IT system are protected),
* continuity of protection (protection is continuous over time),
* proportional to the potential risks.
Our IT systems and networks are highly protected against computer intrusions.

* Persons entitled to access the data

Our hotel ensures that your personal data is protected from unauthorised access at all times.
On the basis of a statutory authorisation, a court, prosecutor’s office, investigative authority, law enforcement authority, administrative authority, National Authority for Data Protection and Freedom of Information, and other authorised authorities may request the Data Controller to provide data or documents in connection with data processing. In any case, the Data Controller shall only disclose to the courts and authorities such data and only to the extent that is strictly necessary for the execution of the request.
5. Rights of the Data Subject and means of enforcement
In any event, we will allow the Data Subject to exercise the rights provided for in the Regulation and Info TV, subject to the limitations set out therein.

* Do you, as the Data Subject, need to justify the legal basis of your request?
You do not need to justify the legal basis for your request, as data protection rights are a fundamental right of natural persons.
* Do you, as a Data Subject, need to identify yourself?
Yes, identification is required! Lack of identification will lead to a refusal of the application.
Identification can be done by:
* if the application is submitted in person (or if the data is received): by presenting an official document proving your identity / the document will not be copied!/;
* if the application is submitted on-line, we will prepare the application, but the data will only be provided to the applicant after the identification has been completed.
(please do not send a copy of an official document proving your identity, as sending the document by electronic mail does not identify the Data Subject, but results in unnecessary processing!)

* Do you, as the Data Subject, need to rely on your relationship with the data subject of the request?
Yes, you need to refer to the link to the data that is the subject of the request! Without a clear and precise link, your request may be refused.

* Where and how to apply:

You, as the Data Subject, may make your request by sending a letter to the postal address of the Data Controller indicated in this Notice, by sending an electronic (e-mail) message to the e-mail address provided, or in person (a record of the oral request will be kept).
As a data subject, you are entitled to :

* for prior information, and you can request information about the processing of your personal data and/or access to your data – in which case we will inform you whether we process personal data about you and, if so, the exact purpose, legal basis, scope of the data processed and the main rules of the processing /set out in this Notice/ and, upon request, provide you with a copy of the personal data processed;
The Data Subject’s right to request a copy must not adversely affect the rights and freedoms of others (GDPR 15. Article (4)). (e.g. a request for a copy of the CCTV footage may be granted if the CCTV footage does not include any other person apart from the Data Subject, or if the other persons are unrecognisable or their masking (“masking”) can be technically reasonably expected and feasible.
Such a request may be refused only in cases provided for by law.
If you are refused information, we will tell you which provision of the law is used to refuse your request and inform you of the possibility of judicial remedy and of recourse to the Authority.
Where the Data Subject’s request is manifestly unfounded or excessive, in particular because of its repetitive nature, having regard to the administrative costs of providing the information or information requested or of taking the action requested:
a) we may charge a reasonable fee, or b) refuse to act on the request.
The burden of proving that the request is manifestly unfounded or excessive lies with the controller.

* rectification of your personal data, i.e. the rectification, correction or completion of inaccurate personal data concerning you;
* erasure of data, i.e. making the data unrecognisable in such a way that it is no longer possible to recover it ;
A request for cancellation may be granted if one of the following grounds applies:
1. the personal data are no longer necessary for the purposes for which they were processed;
2. you withdraw your consent on which the processing is based and there is no other legal basis for the processing;
3. you object to the processing of your data and there is no overriding legitimate ground for the processing or you object to the processing of your data for commercial purposes;
4. we process your personal data unlawfully;
5. personal data must be erased in order to comply with a legal obligation under EU or Member State law applicable to us;
6. the collection of personal data in accordance with Article 8. Article 3(1) in connection with the provision of information society services.
The erasure of data may not be carried out if the processing is necessary for the establishment, exercise or defence of our legal claims.
* to exercise your right to data portability in accordance with the provisions of the GDPR, whereby you have the right to receive your data that we process about you in a structured, commonly used, machine-readable format and to transfer that data to another controller.

* to restrict the processing of your data, on the basis of which we restrict the processing at your request, if one of the following conditions is met:
a) if you, as a Data Subject, contest the accuracy of your personal data, in which case the restriction applies for the period of time that allows us to verify the accuracy of your personal data; 1. if the processing is unlawful and you, as the Data Subject, oppose the erasure of the data and instead request the restriction of their use;
1. if our hotel, as the controller, no longer needs the personal data for the purposes of processing, but you, as the Data Subject, require them for the establishment, exercise or defence of legal claims;
1. if you, as the Data Subject, have objected to the processing based on legitimate interest, in which case the restriction applies for the period until it is determined whether our legitimate grounds prevail over your legitimate grounds.
If the processing is restricted, such personal data, except for storage, may only be processed with your consent or for the establishment, exercise or defence of legal claims or for the protection of the rights of another natural or legal person or for important public interests of the Union or of a Member State.
Our hotel will inform the Data Subject in advance of the lifting of the restriction on processing.
The restriction of processing may also take place independently of the Data Subject’s request, in particular, but not exclusively, in the following cases:
1. if ordered by the supervisory authority (National Authority for Data Protection and Freedom of Information),
2. if the controller is required by the competent authority or court to restrict the processing.
3. at the controller’s discretion, if the controller considers that the deletion of the data would harm the legitimate interests of the Data Subject or a third party (in particular, where it is necessary to preserve the data as evidence /e.g. pending the outcome of an investigation or proceeding/).
* in the event of a personal data breach, the Data Controller will provide information about the personal data breach upon the Data Subject’s request:

1,
2. on the impact and
3. the measures taken to prevent.
* if a transfer is made outside the exceptions provided for by law, we will provide information about the legal basis and recipient of the transfer at the Data Subject’s request.
* Withdraw consent:
In the case of processing based on your consent, you may withdraw your consent at any time, but such withdrawal shall not affect the lawfulness of processing based on your consent prior to that time.

* Affected person’s objection

As a Data Subject, you have the right to object at any time, on grounds relating to your particular situation, to the processing of your personal data necessary for the purposes of the legitimate interests pursued by the Controller or a third party, including “profiling” as defined in the GDPR.
In the event of an objection, our hotel as Data Controller will no longer process the personal data, unless it is justified by compelling legitimate grounds which override your interests, rights and freedoms or for the establishment, exercise or defence of legal claims.
Our hotel will examine the objection within the shortest possible time from the date of the request, but not later than 30 (thirty) days, will decide whether the objection is justified and will inform the Data Subject in writing of its decision.
With this Prospectus, we draw your attention to the fact that – in accordance with Prospectus 3.6.3. the purposes of the processing as set out in point 3.6.5. with regard to the legal basis (legitimate interest) set out in point (a), the objection may be justified only if the data (processing) objected to was unlawful for some reason /e.g. was filmed in a place where the camera is prohibited by law from being used for surveillance / e.g. toilets, toilets/).
* Procedures for exercising rights in relation to data management
Our hotel will inform the Data Subject within 30 days of receipt of the Data Subject’s request at the latest, in accordance with GDPR 15 – 22. of the measures taken on the basis of its request under Article 12, which time limit shall, if necessary, taking into account the complexity of the request and the number of requests, be set in accordance with Article 12. Article (3)(3). /) may be extended by two months.

The Hotel shall notify the Data Subject of the extension of the time limit within the time limit for the procedure, stating the reason for the extension.

 

 

* REMEDIES:

TO LODGE A COMPLAINT:
we recommend that, before initiating official or judicial proceedings, the Data Subject should make use of the possibility to submit a request, complaint, objection (and any related consultations) to the Data Controller.
The telephone number, e-mail address and postal address of the Data Controller available for this purpose are set out in the Introductory Section of this Notice.
OFFICIAL PROCEDURE
NOTIFICATION: the Data Subject initiates a data protection authority procedure
if it considers that the Data Controller has breached its obligations regarding the processing of the Data Subject’s personal data.
The competent authority:
National Authority for Data Protection and Freedom of Information
address: 1125 Budapest, Szilágyi Erzsébet fasor 22/c.,
+36 (1) 391-1400,
e-mail address: ugyfelszolgalat@naih.hu,
His website address is: http://naih.hu
INITIATE LEGAL PROCEEDINGS:
If you, as the Data Subject, disagree with our decision on your request or objection, or if we fail to respond to you within the time limit we are required to respond, you may have recourse to the courts within 30 days of the date of the decision or the last day of the time limit.
You can also choose to bring the case before the court of your place of residence or domicile.

If you have any further questions or comments about this Notice, please contact us at the telephone number or e-mail address indicated in the Introduction to this Notice, or in writing to the postal address of the Hotel.

Magdolna Lakópark Korlátolt Felelősségű Társaság

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