Information and Personal Data Processing Notice Sample Clauses

Information and Personal Data Processing Notice. XIII.3.1. The Purpose of Processing Personal Data The Provider shall process the Recipient’s personal data for the following purposes: a) Execution of the contractual relationship This processing is essential for conclusion of a contract and performance of the contractual relationship with the Provider. For this purpose, the Recipient’s identification details, contact details and information relating to the subject-matter of the Agreement (e.g. identification of the service, the Subject, payment details etc.) will be processed to the necessary extent. A contractual relationship may also be established remotely using electronic signatures. In such cases, the Recipient’s identification data, contact data and information related to signature of the document are contained in the application for signature of documents provided by a third subject, in an SMS, email, on the signed electronic document and in the audit trace capturing information about the course of signature. b) Protection of the rights and legally protected interests of the Provider (legitimate interest) This processing is essential for the protection of the Provider’s rights, particularly within the terms of recovery of debts, settlement of all disputable administration, development of the provided services, in-house statistical research, analyses or assessments, in-house reporting or for in-house administrative purposes within the terms of the Raiffeisen Group. For this purpose, the Provider may also process the data ensuring the secure use of the offered services, and data for the purpose of risk management, fraud prevention and assessment etc. On the basis of its legitimate interest, the Provider also processes information about creditworthiness, i.e. the ability to pay off debts, payment discipline and the credibility of natural persons who are not consumers, using registries. For this purpose, the Provider also stores recordings of incoming and outgoing calls realised through the client centre. The Provider is also allowed, to a limited extent and on the basis of its legitimate interests, to process the Recipient’s personal data for the purpose of direct marketing (i.e. offering other similar products and services to its clients). In cases when the Recipient’s personal data is processed for the purpose of protection of the Provider’s legitimate interests, the Recipient is entitled to raise an objection against such processing. If the Recipient does so, the Provider will cease to process its ...