Abogados JSR en Querétaro
Consultoría Sin Costo
In compliance with the provisions of Article 15 of the Federal Law for the Protection of Personal Data (“The Law”), JSR ABOGADOS (“The Company”) makes available to applicants, purchasers, contractors, and any other person (“The Holder”) who for any reason provides “The Company” with personal information (“The Information”), the following:
Responsible for the Information: JSR ABORGADOS, with address at Blvd. Bernardo Quintana 7001 tower 1 office 902, Centro Sur, 76090 Santiago de Querétaro, Qro.
“The Company” will not require the consent of “The Holder” to process personal data when it does so based on the provisions of Article 10 of “The Law”.
Purpose of data processing: “The Company” is authorized to process personal data to third parties, for any of the following purposes:
Fulfill obligations arising from contracts of sale, transfer of rights, or any other legal act that “The Holder” has entered into with “The Company”, as well as in its case fulfill any obligation arising from a present or future legal relationship between “The Holder” and “The Company”.
Send by any physical, electronic or magnetic means, including ordinary mail, e-mail, text messages, telephone calls, electronic downloads, personally or through commercial agents, promoters, or any other person authorized for such purpose by “The Company”:
Information of the products or services it offers.
II.Advertising in general, promotions, benefits, additional discounts, bonuses, contests, sweepstakes, etc.
III.Conduct market research to evaluate our services, know your opinion regarding the launch of a new product and evaluate sales concepts.
The “Owner” of the information may at any time, except for the exceptions contained in “The Law”, limit or revoke their consent for the use or disclosure of personal data previously provided to “The Company”. For this purpose, “The Holder” must submit a written request at the address of “The Company”, or by sending an email to the address email@example.com, both with acknowledgment of receipt, in terms of the following paragraph.
In the event that “The Holder” wishes to make use of the ARCO Rights (Access, Rectification, Cancellation or Opposition) related to “The Information”, he/she shall address to “The Company” by means of a written document delivered to “The Company’s” domicile or he/she may submit his/her request by e-mail: firstname.lastname@example.org. Such request must contain at least:
Name and address or other means to communicate the response to your request;
Documents proving your identity or, if applicable, legal representation;
The clear and precise description of the personal data with respect to which you are requesting to exercise any of the ARCO rights;
The express manifestation to revoke your consent to the processing of your personal data and, therefore, not to use it; and
The elements that facilitate the location of the personal data.
“The Holder” accepts that if he/she submitted any request to enter into a contract or if he/she has a legal relationship with “The Company”, he/she granted his/her full consent for the transfer of “The Information” to third parties related to the purposes described above, the third party that receives “The Information” must previously assume the same obligations regarding the handling and care of “The Information” that are established in this Privacy Notice.
“The Company” reserves the right to modify or supplement this Privacy Notice, and the corresponding modification will be made known to you through its publication on the website https://jsrabogados.com/.
“The information will be treated in accordance with the Federal Law for the Protection of Personal Data in Possession of Individuals and is protected by administrative, technical and physical security measures to prevent its damage, loss, alteration, destruction, use, access or improper disclosure. Only authorized persons will have access to your Data.
MEANS TO MAKE AVAILABLE TO INDIVIDUALS: IF RECEIVED FROM THE INDIVIDUAL PERSONALLY DELIVER PRINTED, AND THE HOLDER MUST SIGN AN IDENTICAL DOCUMENT, SO THAT THE COMPANY KEEPS IT AS AN ACKNOWLEDGMENT.
IF THEY ARE NOT OBTAINED FROM THE OWNER, THE RESPONSIBLE MUST INFORM THE OWNER OF THE CHANGE IN THE PRIVACY NOTICE.