HORUS informs about the possibility of exercising the rights of access, rectification, limitation of processing, deletion, portability, and opposition to processing, which the User has and which can be exercised before HORUS. In accordance with Chapter III of the GDPR, as well as established in Title III, Chapter II of the LOPDGDD, the following nuances must be taken into account:
Right of Access: It is the user’s right to obtain information about their specific personal data and the treatment that has been or is carried out, as well as the available information about the origin of such data and the communications made or planned. Right of Rectification: It is the right of the user to modify data that turns out to be inaccurate or incomplete. It can only be satisfied in relation to information under HORUS’ control, for example, deleting comments published on the page, images, or web content containing the user’s personal data. Right to Limitation of processing: It is the right to limit the purposes of the processing originally planned by the data controller. Right of Deletion: It is the right to delete the user’s personal data, except as provided in the RGPD itself or in other applicable regulations that determine the mandatory conservation of them, in time and form. Right to Portability: The right to receive the personal data that the user has provided, in a structured, commonly used, and machine-readable format, and to transmit them to another controller. Right of Opposition: It is the user’s right that the processing of their personal data is not carried out or ceases by HORUS. To exercise any of the above rights, the following requirements must be met: Submit a letter to the postal address or by email to dpo@horusmartvision.com.
The letter sent by the data owner requesting the exercise must meet the following legal requirements:
Name, surname of the interested party, and a copy of the DNI. In exceptional cases where representation is admitted, it will also be necessary to identify the person representing you in the same way, as well as the document proving the representation. The photocopy of the DNI may be replaced as long as identity is proven by any other valid means in law. Request in which the application is specified. (Exercise requested or information to be accessed). If no specific file is referenced, all information with your personal data will be provided. If you request information from a specific file, only information from this file will be provided. Information relating to a third party will never be provided. If requested by phone, you will be told to do it in writing and informed how to do it and the address to send it. No information will be given by phone. The User must provide an address for notifications and provide the documents accrediting the request made. The interested party must use any means that allows proving the sending and receipt of the request.
Finally, you are informed that you have the right to file a complaint with the Spanish Data Protection Agency if you have knowledge or consider that a fact may constitute a breach of the applicable regulations on data protection.
HORUS commits to adopting the necessary technical and organizational measures, according to the level of risks accompanying the treatments indicated in the terms and conditions of use section, to ensure their integrity, confidentiality, and availability.
HORUS assumes any responsibilities that may be required for non-compliance with its obligations in this matter.
The person in charge of your data will be the Legal Service of HORUS, to which you can address at the following address legal@horusmartvision.com.