LEGAL NOTICE

ASHTANGA YOGA RAUM FRANKFURT

Christian O. Braun

Ingolstädter Straße 38, 60316 Frankfurt

yoga[e-t]ayrf.de

0049 (0)178 54 54 132

VAT identification: DE187035061

General Terms and Conditions

PRIVACY POLICY

PRIVACY POLICY

Wir freuen uns sehr über Ihr Interesse an unserem Unternehmen. Data protection is of particular importance to the management of ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun. The use of the internet pages of THE ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun is possible without any indication of personal data.

However, if a data subject wishes to use special services of our company via our website, processing of personal data may be necessary. If the processing of personal data is necessary and there is no legal basis for such processing, we generally obtain the consent of the data subject.

The processing of personal data, such as the name, address, e-mail address or telephone number of a data subject, is always in accordance with the General Data Protection Regulation (GDPR) and in accordance with the country-specific data protection regulations (GDPR) applicable to the ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun.

By means of this data protection declaration, our company wishes to inform the public about the nature, scope and purpose of the personal data we collect, use and process. In addition, data subjects are informed about their rights by means of this data protection declaration.

ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun, as controller, has implemented numerous technical and organisational measures to ensure the most complete protection of the personal data processed via this website.

However, Internet-based data transfers can generally have security vulnerabilities, so absolute protection cannot be guaranteed. For this reason, each data subject is free to transmit personal data to us in alternative ways, such as by telephone.

1. Definitions

The data protection declaration of THE ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun is based on the terms used by the European legislator for the adoption of the General Data Protection Regulation (GDPR). Our privacy policy should be easy to read and understand, both for the public and for our customers and business partners. In order to ensure this, we would like to explain the terms used in advance.

We use, among other things, the following terms in this Privacy Policy:

a) personal data

Personal data is any information relating to an identified or identifiable natural person (hereinafter ‘data subject’).

Identifiable is a natural person who, directly or indirectly, directly or indirectly, by means of an identifier such as a name, identification number, location data, an online identifier or one or more special characteristics, which are of the physical, physiological, genetic, psychological, economic, cultural or social identity of that natural person.

b) Data subject

The data subject is any identified or identifiable natural person whose personal data is processed by the controller.

c) Processing

Processing is any operation or series of operations carried out with or without the aid of automated procedures in connection with personal data such as the collection, collection, organisation, ordering, storage, adaptation or modification, the reading, querying, use, disclosure by transmission, distribution or any other form of provision, reconciliation or linking, restriction, deletion or destruction.

d) Restriction of processing

Restriction of processing is the marking of stored personal data with the aim of restricting their future processing.

e) Profiling

Profiling is any type of automated processing of personal data consisting in the use of such personal data to assess certain personal aspects relating to a natural person, in particular to address aspects of the to analyse or predict this natural person’s work performance, economic situation, health, personal preferences, interests, reliability, behaviour, whereabouts or relocation.

f) Pseudonymisation

Pseudonymisation is the processing of personal data in such a way that the personal data can no longer be assigned to a specific data subject without the use of additional information, provided that such additional data data is information is kept separately and subject to technical and organisational measures to ensure that the personal data is not assigned to an identified or identifiable natural person.

g) Responsible or controller

The person responsible or controller for the processing is the natural or legal person, authority, body or other body that decides alone or jointly with others on the purposes and means of the processing of personal data. Where the purposes and means of such processing are specified by Union law or the law of the Member States, the controller or the specific criteria for his designation may be laid down in accordance with Union law or the law of the Member States. to become.

(h) Contract processors

Processor is a natural or legal person, authority, body or other body that processes personal data on behalf of the controller.

(i) Recipient

The recipient is a natural or legal person, authority, body or other body to which personal data are disclosed, whether or not it is a third party. However, authorities which may receive personal data under a particular investigation under Union or Member State law shall not be deemed to be recipients.

j) Third party

Third party shall be a natural or legal person, authority, body or other body other than the data subject, the controller, the processor and the persons who, under the direct responsibility of the controller or the processor to process the personal data.

k) Consent

Consent is any expression of intent made by the data subject voluntarily in an informed and unequivocal manner in the form of a declaration or other unambiguous affirmative action by which the data subject is informed and unequivocal. that it agrees to the processing of the personal data concerning it.

2. Name and address of the controller

The responsible person within the meaning of the General Data Protection Regulation (GDPR), other data protection laws in force in the Member States of the European Union and other provisions of a data protection nature are:

ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun

Ingolstädter Straße 38, 60316 Frankfurt,Germany

Phone: 00491785454132, Email: yoga[ät]ayrf.de

Website: www.ashtanga-yoga-raum-frankfurt.de

3. Cookies

The websites of ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun use cookies. Cookies are text files that are stored and stored on a computer system via an internet browser.

Open, view and (if necessary) customize cookies settings: Cookies Settings

Many websites and servers use cookies. Many cookies contain a so-called cookie ID. A cookie ID is a unique identifier of the cookie. It consists of a string through which websites and servers can be assigned to the specific Internet browser in which the cookie was stored.

This allows the websites and servers visited to distinguish the individual browser of the data subject from other internet browsers that contain other cookies. A specific Internet browser can be recognized and identified using the unique cookie ID.

By using cookies, ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun can provide users of this website with more user-friendly services that would not be possible without the cookie setting.

By means of a cookie, the information and offers on our website can be optimized in the sense of the user. Cookies allow us, as already mentioned, to recognize the users of our website. The purpose of this recognition is to facilitate the use of our website for users.

For example, the user of a website that uses cookies does not have to re-enter his access data every time he visits the website, because this is taken over by the website and the cookie stored on the user’s computer system. Another example is the cookie of a shopping cart in the online shop. The online store remembers the items that a customer has placed in the virtual shopping cart via a cookie.

The data subject can prevent the setting of cookies by our website at any time by means of a corresponding setting of the internet browser used and thus permanently object to the setting of cookies. Furthermore, cookies that have already been set can be deleted at any time via an internet browser or other software programs. This is possible in all common internet browsers. If the data subject deactivates the setting of cookies in the internet browser used, not all functions of our website may be fully usable.

4. Collection of general data and information

The website of ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun collects a series of general data and information with each call-up of the website by a data subject or an automated system. This general data and information is stored in the server’s log files. Possible data gathering

(1) browser types and versions used,

(2) the operating system used by the accessing system,

(3) the website from which an accessing system enters our website (so-called referrers),

(4) the sub-websites, which are accessed via an accessing system on our website,

(5) the date and time of access to the website;

(6) an Internet protocol address (IP address),

(7) the Internet service provider of the accessing system and

(8) other similar data and information used to prevent attacks on our information technology systems.

When using this general data and information, ASHTANGA YOGA RAUM FRANKFURT – Christian O. Braun does not draw any conclusions about the data subject. Rather, th