Identity of the data controller at the NEXTIL GROUP
In turn, the NEXTIL GROUP is comprised of:
NUEVA EXPRESION TEXTIL, S.A.
CIF (Tax ID No.): A08276651
Paseo de la Castellana 140, 1º Planta B2
28046 – Madrid (España)
Commercial Registry of Barcelona: Volume 26157, Folio 132, Section 8, Sheet B 100454, Entry 26
DOGI SPAIN, S.L.
CIF (Tax ID No.): B66918467
C/ Mig, S/n 08320 – (El Masnou) – Barcelona
Commercial Registry of Barcelona: Volume 45780, Folio 1, Section 8, Sheet B 498727, Protocol Order 6445+
CIF (Tax ID No.): B62971023
C/ Camí de Can Guasch, 5 – Pol. Ind. Llevant 08150 – (Parets Del Vallès) – Barcelona
Commercial Registry of Barcelona: Volume 34896, Folio 196, Sheet B 253937, Entry 1
QUALITAT TÈCNICA TÈXTIL, S.L.
CIF (Tax ID No.): B60366127
C/ Can diners, 1-11, 08310 (Argentona) – Barcelona
Commercial Registry of Barcelona: Volume 26036, Folio 117, Sheet B 97073
GENEROS DE PUNTO TREISS, S.L.
CIF (Tax ID No.): B60898939
C/ Remallaire 26, 08302 – (Mataró) – Barcelona
Commercial Registry of Barcelona: Volume 28346, Folio 133, Sheet B 133267
Tax Identification Number (Código de Identificación Fiscal – CIF): 506672476
Rua das Austrálias, nº1 – 4705-322 Gondizalves, Braga
Braga Trade and Companies Register: 506672476
S.I.C.I. 93 BRAGA, S.A.
Tax Identification Number (Código de Identificación Fiscal – CIF): 502988088
Rua das Austrálias, nº2 – 4705-322 Gondizalves, Braga
Braga Trade and Companies Register: 502988088
EFA, Inc., dba Elastic Fabrics of America
3112 Pleasant Garden Road
Greensboro, NC 27406
Registered to do business in the state of North Carolina
In accordance with data protection legislation, and any other relevant and current applicable legislation, the user is informed that the personal data provided, whenever appropriate, will be incorporated into an automated file, which will be used solely for the purposes described in the corresponding form, contract, pre-contract or offer.
Data relating to customers
In the event that you have provided your data as a contact person for a corporate client or as an individual entrepreneur, whether as a customer or as a potential customer of any of the companies that make up the Nextil Group, we hereby inform you that the Nextil Group will use the data for the maintenance of the contractual or pre-contractual relationship and will not transfer them to third parties, unless said transfer of data is necessary in compliance with the contractual relationship with the data subject or the company thereof, with the exception of the companies of the group since the Nextil Group companies may process the data for the same purposes indicated, based on legitimate interest as a group. The data provided will be kept as long as the contractual relationship is maintained or for the years necessary to comply with legal obligations. In addition, we hereby inform you that, as a customer or potential customer, the Nextil Group may send you commercial information via the means that you have provided, including email, based on the Legitimate Interest regulated by the General Data Protection Regulation.
Contacts for sending information related to the Group’s activities
We hereby inform you that the Nextil Group uses the contact details of corporate clients or potential customers to send information that may be considered commercial. Thus, the recipients of the information may be customers or potential customers who have previously been contacted by the Nextil Group or people who have contacted the Nextil Group via contact forms on the website or via any other means. In the event that a data subject is receiving this type of information, he or she will be in one of the categories listed above. We understand that the information sent by the Nextil Group may be of interest to the recipient and is, at all times, related to the Nextil Group’s products or services and regarding which the data subject has shown some type of interest.
The legal basis for the legality of the data processing for this purpose is the legitimate interest of the Nextil Group. Said legitimate interest is weighted by keeping you informed, at all times, of the option to unsubscribe from these communications, sent via the contact details of legal persons, the purpose pursued by the Nextil Group always being of a business nature, sending information that is always related to the Nextil Group products and services, regarding which the data subject has or had an interest.
You can object to the processing of the data for the purposes indicated, at any time, by sending an email to email@example.com
The Nextil Group will keep your data, as long as you do not oppose the processing thereof
Data relating to suppliers
In the event that you have provided your data as a contact person for a supplier company or as an individual entrepreneur, we hereby inform you that the Nextil Group will use the data solely for the maintenance of the contractual relationship and will not transfer it to third parties, except to the companies of the Group, if necessary, and unless said transfer of data is necessary in compliance with the contractual relationship with the data subject or the company thereof. The data provided will be kept as long as the contractual relationship is maintained or for the years necessary to comply with legal obligations. The legitimate basis for the processing is the fulfilment of the contractual relationship.
Data relating to candidates
In the event that you have provided your data to the Nextil Group as a potential candidate to become part thereof, we hereby inform you that the Nextil Group will use the data solely to manage your candidacy for any of the vacancies that may exist and will not transfer it to third parties, except to the other companies of the Group, these companies being able to process your data in the event that there is a position available that fits the candidate profile.The data provided will be kept for a maximum period of two years. The legitimate basis is your consent in the sending of your CV.
Data related to video surveillance and control
There are duly announced security cameras installed within the premises of the Nextil Group. The data obtained through the cameras is stored for a maximum period of 30 days. The Nextil Group will maintain absolute confidentiality regarding the processing of the data and will only communicate the data to official bodies and law enforcement officers upon request. The purpose of the recordings is the security of the company. Therefore, the legitimate basis is the public interest and control of the performance of work, the legitimate basis for this being the fulfilment of the contractual employment relationship and the legitimate interest.
Regarding the control of visits, the Nextil Group may control visits for security purposes, the legitimate basis being the public interest. As in the case above, the data will only be kept for 30 days.
Exercise of rights common to all personal data
The data subject is entitled to obtain confirmation regarding whether the Nextil Group is processing their personal data, therefore, they have the right to access their personal data, rectify inaccurate data or request the deletion thereof when the data is no longer necessary, as well as to oppose the processing of their data for any purpose set forth herein, such as for the sending of commercial information.
You have the rights of access, rectification, deletion, opposition, restriction on processing and portability that you can exercise by
- physical mail
Paseo de la Castellana 140, 1º Planta B2
28046 – Madrid (España)
- In any case, the data subject can address the corresponding control authority to submit the claims that it deems appropriate, if it is located in Spain, at the Spanish Agency for Data Protection.
Data veracity and update
The Nextil Group presumes that the personal data provided via the different channels and media is true, that it is provided directly by the data subject, that said subject is who they claim to be, that the data is up-to-date and that the affected / interested party will communicate any modification of this data as soon as it changes.
Duty of secrecy
The people who are involved in the processing of data concerning natural persons and who access the files relating thereto, whether directly or indirectly, will, at all times, observe the secrecy regarding the personal data about which they have knowledge as a result of the development of the activity. The Duty of Secrecy constitutes an obligation for the Nextil Group, the members of the direction and management bodies, the people hired under the employment contract and the professionals who provide contracted services under the provisions of Commercial Law. It also implies an obligation for the providers of goods and services and their employees, the Data Processors and their employees, whom the Data Processor subcontracts and their employees. The obligation of secrecy persists after the termination of the employment or commercial relationship established with the Nextil Group, the Data Controller, as well as after the expiration of the employment contracts, commercial contracts, etc., that link the employees and / or professionals with the Data Processor and the suppliers that supply goods or provide services to the Nextil Group.
Website / web page recommendation
The Nextil Group, when recommending or linking to any website / web page, consider that they are of interest to the user. The Nextil Group does not have an obligation of supervision with respect to the websites / web pages that it links or recommends. They have been created by legal persons, individuals or entities without legal personality outside the Nextil Group. It does not intervene in their management, finance them or decide on the content incorporated, nor does it manage or participate in the services that the linked or recommended websites / web pages provide. The Nextil Group will cancel any link by refraining from recommending the website / web page when it has reliable evidence that it and / or the services it provides are illegal or damage the property or rights of third parties that may be entitled to compensation.
The Nextil Group has implemented the security measures that the Personal Data Protection regulations require at its work centres, on its premises and within its systems, communications infrastructures, etc. It has also adopted measures that are logical, physical, organisational, contractual, etc., that prevent unauthorised third-party access to data, as well as the destruction, modification, reproduction, dissemination, transmission or reuse thereof.