We manage your safety compliance for industrial products and toys in Morocco CMIM, necessary for the commercialization of electrical products and toys.
In particular, Q-CMIM declares its commitment to comply with the regulations oriented to the protection of personal data. In this sense, they are considered as a frame of reference, mainly:
This statement applies to any website, application, product, software or service owned or operated by Q-CMIM that is linked to it (collectively, our “Services”). Occasionally, a service will link to a separate privacy statement, which will list the particular privacy practices for that service.
This policy may be updated from time to time and we encourage you to access and review it. If we make changes that we consider important, we will notify you by posting a notice on the relevant services or by communicating with you by other means such as email.
Q-CMIM we are a company of Malaga origin, dedicated to the consultancy for the obtaining of CMIM marking of product, according to the current Moroccan legislation.
Our address for notification, communication and contact purposes is C/Juan Cabanilles, 11, office 409, 29018, Málaga. Also, please contact us, Q-CMIM has enabled the following e-mail address for communications and notifications related to the processing of information and personal data, including the exercise of the rights indicated in this Policy: email@example.com
Personal information refers to any information that relates to an identified or identifiable natural person. An identifiable natural person is one who can be identified, directly or indirectly, in particular by reference to an identifier, whether a name, an identification number, location data, online identification, or to one or more factors specific to that person’s physical, psychological, genetic, mental, economic, cultural or social identity.
We collect, store and process information (and in particular personal data) necessary for the provision of our services. In particular, the information we collect is:
At Q-CMIM we are highly committed to the security of the information we handle, and to compliance with the legal requirements that apply to us. In this sense, to ensure the confidentiality, availability and integrity of the information we handle (and, in particular, of personal data), as well as the systems, networks, applications and databases used for its processing, at Q-CMIM:
In the event that, as a user or affected party, you detect any security incident or breach, or any vulnerability that may be affected, Q-CMIM makes available to those affected the address firstname.lastname@example.org which you can make the communications that are considered appropriate or necessary for the improvement of the security of our information and systems.
Q-CMIM has enabled the necessary means to comply with the right to information and with the obtaining of consent in cases where it is necessary to ensure the lawfulness of the processing of personal data. At the time of obtaining or collecting the information, Q-CMIM undertakes to inform those affected about the identity of the person responsible, the purpose, possible communications or transfers, and the possibility of exercising the rights set out in the regulations.
Q-CMIM recognizes and guarantees the possibility of exercising the rights of access, rectification, cancellation, opposition, limitation of treatment and portability, collected by the data protection regulations. You as an interested or affected person can:
For the exercise of these rights, Q-CMIM has enabled the following e-mail address e-mail address: email@example.com, through which you can contact the organisation to request the exercise of the rights recognised by the regulations. Similarly, these may be exercised through the postal address indicated in the first section.
For a proper exercise of these rights, we urge you to use as a reference the templates and models for the exercise of the rights that can be found on the website of the Data Protection Agency. (www.agpd.es).
In addition, we inform you of the possibility, if you consider that your rights have been violated, or that it has not acted adequately with respect to requests for rights that you may have made, to file the corresponding complaint with the Data Protection Agency, which you can contact through the electronic office accessible from your website (www.agpd.es)
As a general rule, from Q-CMIM we only communicate personal data to third parties, or provide them with access to the same, in the cases necessary to develop an adequate provision of the requested service, to comply with legal, fiscal and corporate obligations, or for the development of certain processes or activities of the organization in a subcontracted manner (Access to Data on Behalf of Third Parties).
In particular, we carry out communications and exchanges of information with banking institutions, based on the services provided, for the management of collections and billing of the services provided, the management of payments to service providers, or in compliance with legal requirements, tax and public duties. Likewise, in compliance with these public duties, communications are made to other administrative bodies, such as the Social Security or the Tax Administration.
On the other hand, in Q-CMIM we establish agreements, alliances or collaborations with other entities that provide us with certain services or that collaborate in the development of certain activities, being able to have access to the personal data that we manage. This is the case, for example, of tax and labour consultants who are granted access to the personal data of our employees for the management of payroll, compliance with public duties, or prevention of occupational hazards.
In addition, we have certain outsourced services on which we rely for the provision and development of our services. This is mainly the case of external housing or web hosting services. For the provision of these services, the corresponding external processing contracts have been signed, ensuring compliance with regulatory requirements. It may be the case that these services are provided or require the intervention of entities or systems hosted in third countries. From Q-CMIM we ensure that, in cases where international data transfers are required, these are carried out to countries that accredit a level of security comparable to that of European regulations. In this sense, we will consider the decisions of adequacy of the European Data Protection Committee, or, failing that, certificates, corporate standards, contractual clauses or any other recognized mechanism that proves an adequate level of protection.
As a general rule, in Q-CMIM we only keep the information and personal data for the time necessary to comply with the purpose for which the data were obtained, as well as to meet any possible claims or liabilities arising as a result of the processing of the data. In general, once the service has been provided, the data is blocked and no further processing of the data is carried out beyond keeping it at the disposal of the Public Administrations, Judges and Courts, for the attention of any possible liabilities arising from the processing, during the period of limitation of these, after which it must be cancelled. On the other hand, to determine the data retention periods, Q-CMIM takes into account local laws, contractual obligations and the expectations and requirements of our customers. When we no longer need personal information, we securely delete or destroy it.