ConnectingPM GDPR Policy
Last updated: August 8, 2022

Lawful Basis and Transparency

    We conduct information audits to determine what information We process and who has access to it.
    We have legal justification for Our data processing activities under Article 6 of GDP Regulations.
    We provide clear information about Our data processing and legal justification in Our privacy policy.

Data Security

    We take data protection into account at all times, from the moment we develop Our products and each time We process data.
    We encrypt, pseudonymize or anonymize personal data wherever possible.
    We have created an internal security policy for Our team members and we build awareness about data protection.
    We know when to conduct a data protection impact assessment and have a process in place to carry it out.
    We have a process in place to notify the authorities and Our data subjects in the event of a data breach.

Accountability and Governance

    We have designated a responsible individual for ensuring GDPR compliance in Our organization.
    Where necessary, we create and sign data processing agreements between Our organization and any third parties that process personal data on Our behalf.
    We have appointed a Data Protection Officer.

Privacy Rights

    It is easy for Our customers to request and receive all the information we have about them.
    It is easy for Our customers to correct or update inaccurate or incomplete information.
    It is easy for Our customers to request to have their personal data deleted.
    It is easy for Our customers to ask us to stop processing their data.
    It is easy for Our customers to receive a copy of their personal data in a format that can be easily transferred to another company.
    It is easy for Our customers to object to us processing their data.
    We assist people in making decisions about people based on automated processes and We have a procedure to protect their rights.
Amaliastraat 12
Amsterdam 1052GN
The Netherlands