Res Pharma Industriale srl in order to ensure high security standards and abide to regulation with respect to the right of data subjects to access and control their personal data has adopted Corporate procedures and policies in line with the General Regulation of the European Union on data protection (GDPR- Regulation (EU) 2016/679.
Subjects authorized to process data
Data may be processed directly by personnel of the company or by Third parties on behalf of the Company. Third parties have been chosen based on experience in the field, trained and act as processors on behalf of the company.
Data Protection Officer
Additional information regarding processing of your data or reporting can be made through the following email address dpo@respharmaind.com.
Data retention
Data will be made available solely for the time strictly necessary for the purposes of processing and herein defined:
Candidates |
maximum 24 months |
art. 5, letter (e) of Regulation (EU) 2016/679 |
Employees and staff |
10 years |
art. 43 of Presidential Decree 600/73; art. 2946 of the Italian Civil Code on Ordinary Prescription; Title I, Chapter III, of Legislative Decree 81/08 and subsequent amendments and integrations |
Customers and Suppliers |
5 – 10 years |
art. 2948 Italian Civil Code which provides for the limitation of 5 years for periodic payments; art. 2220 Italian Civil Code which provides for the retention for 10 years of accounting records; art. 22 of Presidential Decree no. 600 of 29 September 1973 |
Prospective customers, data of candidates, customers, for marketing purposes |
The Company’s business activities are carried out in compliance with the terms prescribed by law and, in any case, until the consent is withdrawn or until data subject opposes the erasure of the personal data and requests the restriction of their use instead |
General provision of 15/05/13; art. 21 Regulation (EU) 2016/679 |
CUSTOMER POLICY
PROSPECTIVE CUSTOMER POLICY
WEBSITE POLICY
AGENTS AND REPRESENTATIVES POLICY
APLICANT FOR A JOB POLICY
CUSTOMERS POLICY
CONSULTANTS AND PROFESSIONALS – ASSOCIATED POLICY
SUPPLIERS POLICY
SOCIAL NETWORKS USERS POLICY
DATA SUBJECT FOR RECORDINGS VIDEO SURVEILLANCE POLICY
WEBSITE SURFERS POLICY
POTENTIAL CUSTOMERS POLICY
REFERENTS IN SUPPLYING COMPANIES POLICY
REFERRALS AMONG CUSTOMER COMPANIES POLICY