1. Purpose.

The purpose of this Privacy Policy is to provide users of the website www.faymasa.com (the “Website“) with information on how FABRICACIÓN Y MATENIMIENTO, S.A.U. (hereinafter, “FAYMASA“) will make use of their personal data collected via the website, along with their rights in accordance with the General Data Protection Regulation (“GDPR“) and supplementary regulations.

In the case of data collected through web forms, the provisions of this Policy shall be supplemented by the accompanying informative clauses. The informative clauses shall prevail over this Policy in the event of any inconsistency between the two.

If you have any questions regarding the processing of your personal data, please contact FAYMASA’s Data Protection Delegate (DPD) at the following address: datos@faymasa.com

  1. Identification and contact details of the data controller.

The data controller for all personal data collected through the Website is FAYMASA, whose contact details are as follows:

Name: FABRICACIÓN Y MANTENIMIENTO, S.A.U. (FAYMASA)

TIN: A34101212

Postal Address:  C/ Francia, nº 2, P 68 – 69, P.I. Villalobón – 34004 Palencia

Telephone: (+34) 979 711 714

General e-mail: info@faymasa.com

Data Protection Officer: datos@faymasa.com

  1. Collection of personal data: User obligation to provide truthful information.

All fields marked with an asterisk (*) in the forms on the Website are compulsory, and any omission may make it impossible to provide the user with the services or information requested.

The user must provide truthful information. Moreover, in order to ensure that the information provided is always up-to-date and does not contain any errors, the user must report any changes or amendments to his/her personal details by sending an email to FAYMASA at the earliest opportunity, using the address: datos@faymasa.com.

Furthermore, by clicking on the “Accept” button in the informative clauses included alongside the aforementioned forms, the user declares that the information and details provided are accurate and truthful.

  1. General information on personal data processed by FAYMASA

The next section of this Privacy Policy includes a table which, in a general manner, identifies the following information for the different ways FAYMASA processes its Website users’ data:

  1. The purpose of the processing of your personal data, i.e. the reason FAYMASA processes your personal data.
  2. The legal bases that allow FAYMASA to process your data for each of the stated purposes.
  3. The possible disclosure of the user’s data to third parties, as well as the cause of such disclosure. To this end, the user is informed that we do not transfer any personal data to third parties unless legally or contractually mandated, we have a legitimate interest in doing so, or the user has given consent. Furthermore, the user’s personal data may be accessed by FAYMASA’s data processors, i.e. the service providers who need to access your personal data in order to carry out the functions entrusted to them. The service providers that access the user’s personal data are generally in the information systems and technology sectors, and are located in the EU. Users can obtain more information about the recipients of their data by sending an e-mail to datos@faymasa.com, indicating which specific processing they would like to receive recipient information about. Notwithstanding the foregoing, FAYMASA uses GOOGLE cookies, meaning GOOGLE, LLC. (California, USA) can access the user’s data. Google’s general terms and conditions governing this service, under the EU – US Privacy Shield agreement, can be found on this page.
  4. The retention period for the data you provide us with. Moreover, you are hereby informed that your data will remain blocked in order to deal with judicial, administrative or fiscal claims during the periods set out in applicable legislation.
  1. Detailed information on personal data processing by FAYMASA
Processing Purpose Legal basis Recipients Retention
Contact (1) Deal with complaints or requests made by users

(2) Send commercial communications by post and e-mail

(1) Legitimate interest (art. 6.1 f) GDPR)

(2) Consent to send out commercial communications electronically, obtained by ticking the relevant box (art. 6.1 (a) GDPR)

The data will be transferred to the companies of MECAMEPAL GROUP (MECAMEPAL, S.L. and RECTIFICADOS TAMARRAF, S.L.U), which FAYMASA is part of.

These data will be accessed by the service providers indicated in section 4.c)

The data will be retained to meet the stated purpose and to determine any liabilities.
Employment Vacancies form Management of staff recruitment processes at companies in MECAMEPAL Group Consent granted by sending a curriculum vitae (art. 6.1 (a) GDPR) The data will be communicated to the companies of MECAMEPAL Group (MECAMEPAL, S.L. and RECTIFICADOS TAMARRAF, S.L.U), which FAYMASA is part of.

These data will be accessed by the service providers indicated in section 4.c)

The data will be retained for a period of one year after you have sent us your curriculum vitae.
Cookies: Identification and analysis of activity Consent obtained by accepting or browsing the website The data will not be transferred to third parties unless legally mandated.

These data will be accessed by the service providers indicated in section 4.c).

The data will be retained to meet the stated purpose and to determine any liabilities.
  1. Processing of personal data of minors

Minors may not use the services available through the Website unless authorised by their parents, guardians or legal representatives, who will be solely liable for all actions on the Website by the minors in their care, including the filling out of forms with minors’ personal details and the ticking of any boxes included in such forms.

  1. Processing of third party data

A user may sometimes provide us with third party data. In this case, the user will be responsible for informing these third parties of both this circumstance and of the terms under which FAYMASA will process their data, and must also, where appropriate, obtain their consent or the consent of their legal representatives before providing such information.

  1. Exercise of rights

FAYMASA informs users that they may exercise the following rights:

  • Right of access to their personal data, in order to know which data are being processed and the processing operations carried out with them.
  • Right to rectify any inaccurate personal data.
  • Right to delete their personal data, where possible.
  • Right to request limitation of the processing of their personal data whenever their accuracy, legality or need for processing is questionable, in which case we may retain them in order to exercise or defend claims.
  • Right to portability of their personal data, whenever a contractual relationship or consent provides the legal basis that allows us to process them in the manner indicated in the table above.
  • Right to object to the processing of their personal data, whenever our legitimate interest provides the legal basis that allows us to process them in the manner indicated in the table above. In this case, we will stop processing users’ data unless we have a compelling legitimate interest, or we require them for the formulation, exercise or defence of claims.
  • Right to revoke their consent at any time.

Users may exercise their rights at any time and free of charge by sending an e-mail, accompanied by a copy of their ID card or passport, to datos@faymasa.com, indicating the right they wish to exercise and their identification details.

You may contact the Data Protection Delegate again at datos@faymasa.com if you believe we have not processed your personal data properly. Notwithstanding, you are hereby informed that you have the right to file a complaint with the Spanish Data Protection Agency (www.aepd.es) whenever you believe there has been a breach of data protection legislation when processing your personal data.

  1. Cookies.

FAYMASA will only use data storage and recovery mechanisms (“Cookies) when the user has given his/her prior consent, in accordance with that displayed in the pop-up window in the user’s browser when he/she accesses the website for the first time, and with all the terms and conditions set out in the Cookies Policies, which every user should be aware of.

  1. Security measures

FAYMASA has implemented the security measures required by the GDPR and its supplementary regulations, adapted to the type of data processed at all times. Notwithstanding the foregoing, technical security in a medium such as the Internet is not impregnable, and there may be fraudulent actions by third parties even when FAYMASA uses all the means at its disposal to avoid such actions.