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disclaimer
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Responsible for the content in accordance with Section 5 TMG (German Telemedia Act) and Section 55 acticle 2 RStV (Interstate Broadcasting Treaty):
Beck IPC GmbH
Nauborner Straße 184
35578 Wetzlar
Germany
Phone ++49 (0) 6441 3092-0
Fax ++49 (0) 6441 3092-400
e-Mail info@beck-ipc.com
CEO and sole authorized representative:
Thomas Schumacher,
Bettina Schumacher
Register court:
Wetzlar district court
Commercial register No. B 6445
VAT ID Number:
DE 112 626 833
Bank account:
Commerzbank Wetzlar
Bank identification code: 515 400 37
Account No.: 482 200 300
BIC COBADEFF515
IBAN DE85 5154 0037 0482 2003 00
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Public procedure register
The German Data Protection Act stipulates in Section 4g that the data protection officer shall make the following information specified in Section 4e available by suitable means. We fulfill this requirement and do not require the individual written application from you.
- Name and address of the responsible office
Beck IPC GmbH
Nauborner Straße 184
35578 Wetzlar Tel. +49 (6441) 3092 - 0 Register court:
Wetzlar district court
Commercial register No. B 6445 VAT identification number
DE 112 626 833
CEO Thomas Schumacher,
Bettina Schumacher
- Head of data processing
Friedrich Vedder/li>
- Data protection officer
Matthias A. Walter, datenschutz@beck-ipc.com
- Purpose of the data collection, process or use:
Beck IPC GmbH is a national company that provides ist customers with products and services for industrial control and communication. The data is collected, processed and used to implement the purposes stated above.
- Description of the affected groups of people and the relevant data and data categories:
Public bodies if statutory regulations of prime importance exist; external contractors in accordance with Section 11 of the Federal Data Protection Act, as well as external entities and internal departments of Beck IPC GmbH to fulfill the purposes as per point 5.
- Recipients or categories of recipients to whom the data might be disclosed:
Public bodies if statutory regulations of prime importance exist; external contractors in accordance with Section 11 of the Federal Data Protection Act, as well as external entities and internal departments of Beck IPC GmbH to fulfill the purposes as per point 5.
- Statutory periods for the erasure of data:
The legislators have stipulated a wide range of obligations and periods for the retention of data. After these periods have expired, the relevant data can be erased if no longer required for the fulfillment of the contract, for business purposes or to comply with legal requirements.
- Planned data transfer to third parties:
A transfer of data to a third party is possible with respect to the purposes laid out under point 5 as long as it is a legal transfer to fulfill the above mentioned purposes. The provisions stipulated under Sections 11, 4b or 4c of the Federal Data Protection Act (BDSG) are naturally observed with regard to the data processing. Likewise for the purposes stipulated under point 7. The current legal form of the Federal Data Protection Act (BDSG) shall apply or any other valid statutory regulations.
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