FitYogAcademy Personal Data Processing Notice
FitYogAcademy is responsible for the processing of personal data of participants, including challengers and coaches. FitYogAcademy collects, compiles, stores, consults, uses, shares, exchanges, transmits, transfers, circulates, and processes personal data before, during, and/or after the contractual relationship for the purposes listed in the Company’s Personal Data Processing Policy, including but not limited to the following:
- Processing and rectification of information necessary for the conduct of the FitYogAcademy challenge, as well as the offering of FitYogAcademy goods and services.
- Updating or correcting information during the execution of the challenges.
- Offering, concluding, and executing future agreements related to the objectives of FitYogAcademy.
- Control and prevention of fraud, money laundering, and financing of terrorism.
- Analysis of survey data and its results, marketing, and sales management programs and strategies, with or without statistical, investigative, commercial, or actuarial purposes.
- Characterization of stakeholders and implementation of strategies for improvement in the provision of services and products.
- Treatment and response to requests, complaints, claims, suggestions, and/or compliments submitted to FitYogAcademy.
- Compliance with industry regulations, or regulations in countries where the Company has subsidiaries or commercial or strategic allies.
- Sending notifications, notices, and advertising about the services and products offered.
- Sending information on education or training related to commercial and/or contractual contracts acquired with or through the Company, or with any subsidiary or strategic ally.
- Handling of payments and accounting controls.
- International transfer and/or transmission of data to the parent company or countries where the Company has subsidiaries or strategic or commercial allies, pursuant to the fulfillment of its contractual and/or commercial obligations with them for informative, statistical, auditable purposes, or when such transfer and/or transmission is essential due to the normal course of business.
- Any other purposes required for the normal and correct operation of the corporate purpose of the Company and its procedures.
Rights of Personal Data Holders
As a holder of personal data, you have the following rights:
– To know, update, and rectify your personal data with the data controllers or data processors. This right may be exercised in cases where data is partial, inaccurate, incomplete, fractioned, misleading, or where processing is expressly prohibited or unauthorized.
– To request proof of the authorization granted to the data controller, except when authorization is not required for processing.
– To be informed by the data controller or the data processor, upon request, regarding the use made of their personal information.
– To file complaints before the relevant authority for violations of the provisions of this law and other rules that modify, add, or complement it.
– To revoke the authorization and/or request the deletion of the personal data when the processing does not respect constitutional and legal principles, rights, and guarantees.
– To access free of charge their personal data that have been subject to processing.
Whenever FitYogAcademy requests, collects, or processes sensitive data of the owners, it will inform them that responding to questions concerning such data is optional.
The Company’s Personal Data Processing Policy can be consulted [here]
FitYogAcademy will ensure compliance with the Personal Data Processing Policy and will process requests from data owners.