Vimeo Data Processing Agreement

Who is responsible for collecting data on this site? Any person concerned by the processing of personal data shall have the right conferred by the European legislator to object at any time to the processing of personal data concerning him or her and stored pursuant to Article 6(1) lit. e or bed. f of the GDPR, for reasons arising from its particular situation. This anonymous data is stored separately from any personal information you may have provided, so it is impossible to link it to a particular person. The data is used for statistical purposes to improve our website and services. 3. The provisions on data protection in the further processing of the contract referred to in paragraph 1 shall be governed by the law of the Member State in which the data exporter is established. When you contact us via the contact form, the information requested on the form, including the contact details you have provided, is stored with us exclusively for the purpose of processing the request and for login questions. We will not pass on this data without your consent. Our website can be used without entering any personal data. However, other rules may apply to certain services on our website; this information is explained separately below. We collect personal data (e.g. name.B.

name, address, e-mail address, telephone number, etc.) in accordance with the provisions of German data protection legislation. Information is considered personal when it can be attributed exclusively to a given natural person. The legal framework for data protection can be found in the revised Federal Data Protection Act (BDSG-neu) and the Basic European Data Protection Regulation (GDPR). The following provisions are intended to provide information on the nature, extent and purpose of the collection, use and processing of personal data by the provider. Part of the information is generated to ensure the flawless provision of the site. Other data may be used to analyse your user behaviour. The data importer may not invoke a breach of its obligations by a processor in order to avoid its own commitments. If not, are they a GDPR complaint if they don`t offer any type of document/agreement between themselves and their customers regarding the processing of personal data, when I think their default privacy policy is not fully GDPR compliant? If Vimeo OTT provides an alternative transfer mechanism, (a) the producer (as a data exporter) is presumed to use it and takes all necessary measures to give it full effect (including the signing of documents), and b) Vimeo OTT will ensure that transfers are made in accordance with this alternative transfer mechanism. . . .