Privacystatement Baks

Data Privacy & Protection Statement

Baks Borculo B.V., Baks Logistiek B.V., Baks Logistiek Holding B.V., Baks Loon- & Grondverzetbedrijf B.V., Baks Agrifoods B.V., TipTop Car- & Truckcleaning B.V. and Triple Bee B.V. (referred to as “Baks”, “we”, “us” or “our”) takes data protection & security very seriously. It is our policy to comply with all applicable laws in each country in which we operate and this includes data privacy laws.

This Statement acknowledges our commitment to the following fundamental principles of data protection.

We shall use all reasonable endeavors to ensure that Personal Data processed by Baks shall be:

  • Processed lawfully, fairly and in a transparent manner in relation to you, the data subject. This is the principle of lawfulness, fairness and transparency.
  • Collected for specified, explicit and legitimate purposes and not further processed in a manner that is incompatible with those purposes. This is the principle of purpose limitation.
  • Adequate, relevant and limited to what is necessary in relation to the purposes for which they are processed. This is the principle of data minimization.
  • Accurate and, where necessary, kept up to date and we shall take every reasonable step to ensure that any personal data we hold that is inaccurate, having regard to the purposes for which it is processed, shall be erased or rectified without delay after we have been notified or otherwise become aware of same. This is the principle of accuracy.
  • Kept in a form which permits identification of the data subject for no longer than is necessary for the purposes for which it is processed unless otherwise permitted or required by law. This is the principle of storage limitation.
  • Processed in a manner that ensures appropriate security of the personal data, including protection against unauthorized or unlawful processing and against accidental loss, destruction or damage, using appropriate technical or organizational measures. This is the principle of integrity and confidentiality.

We also confirm our commitment to complying with applicable laws as they relate to the processing of sensitive (or special categories of) personal data and to the transfer of personal data to a country other than the country in which it was first collected.

Our commitment to the above fundamental principles is implemented through a variety of internal processes and systems including a general observation of the following:

Notice & Consent

You will be informed of the type of data to be collected and the purposes for which such data is collected as required by applicable law and, where your consent is required to process same, we shall seek that from you in clear and unambiguous language.  Once given, you have the right to withdraw your consent at any time but this will not affect the lawfulness of processing based on consent before its withdrawal.

Access

Where required by law, you will be granted access to your personal data held by us on written request and you will have the opportunity to request the correction, amendment or deletion of your personal data if what we hold is incorrect, out of date or no longer relevant or required for the original or consented business purposes.  Generally we shall respond to written access requests within 30 days but we may restrict access in exceptional circumstances where the legitimate rights of persons other than you would be violated or where the burden or expense of providing access would be disproportionate to the risks of your privacy.

Recourse & Remedy

If you have a complaint regarding the processing of your personal data by Baks, you should send your complaint in writing to our Data Protection Officer (DPO) as identified below.  We shall treat your complaint seriously and use all reasonable efforts to respond to you in a timely manner and to address the concerns you raise.  You may also have the right to make an independent complaint to the relevant external dispute resolution body if provided under local law.  We shall use all reasonable efforts to cooperate with any such dispute resolution body to address the concerns you raise in a timely manner.

Contact Information

Baks has designated Emmelie Prins, its Process manager as the Data Protection Officer (“DPO”) responsible for its compliance with and enforcement of this Statement and applicable data protection laws.

You may reach her by email at functionarisgegevensbescherming@baks.nl

Effective Date and Changes to this Statement 

The commitments and practices described in this Statement are current as of May 25, 2018.  We reserve the right to modify, amend or withdraw this Statement at any time consistent with the requirements of the fundamental principles and applicable law.

Limitation on Application of Fundamental Principles

Adherence by Baks to the fundamental principles may be limited (a) to the extent required to respond to a legal or ethical obligation, and (b) to the extent permitted by applicable law.

Data Transfers

With respect to global data transfers, Baks recognizes and takes appropriate measures to address the legal obligations for such transfers.