1. General Provisions
This Personal Data Processing Policy (the “Policy”) is drafted in compliance with the requirements of Federal Law No. 152-FZ “On Personal Data” dated July 27, 2006 (hereinafter referred to as the “Personal Data Law”) and defines the procedure for processing personal data and the security measures implemented by Daria Alexeevna Ignatenko (hereinafter referred to as the “Operator”).
1.1. The Operator prioritizes the respect for human and civil rights and freedoms, including the protection of privacy, personal, and family confidentiality, when processing personal data.
1.2. This Policy applies to all information about visitors to the website https://dariaignailph.com that the Operator may obtain.
2. Key Definitions Used in the Policy
2.1. Automated Processing of Personal Data: Processing using computer technology.
2.2. Blocking of Personal Data: Temporary suspension of processing (except when necessary to update data).
2.3. Website: A collection of graphical, informational materials, software, and databases accessible at https://dariaignailph.com.
2.4. Personal Data Information System: A system comprising databases and technologies for processing personal data.
2.5. Anonymization of Personal Data: Actions rendering data unidentifiable without additional information.
2.6. Processing of Personal Data: Any operation or set of operations performed on personal data (e.g., collection, storage, modification, deletion).
2.7. Operator: A legal or natural person organizing and/or processing personal data, as defined by the Personal Data Law.
2.8. Personal Data: Any information directly or indirectly identifying a user of https://dariaignailph.com.
2.9. Publicly Available Personal Data: Data disclosed by the subject for unrestricted access under the Personal Data Law.
2.10. User: Any visitor to https://dariaignailph.com.
2.11. Provision of Personal Data: Disclosure to specific individuals.
2.12. Dissemination of Personal Data: Disclosure to the public (e.g., via media or the internet).
2.13. Cross-Border Transfer of Personal Data: Transfer to foreign authorities or entities.
2.14. Destruction of Personal Data: Irreversible deletion making recovery impossible.
3. Operator’s Rights and Obligations
3.1. Operator’s Rights:
- Request accurate personal data from subjects.
- Continue processing data without consent if legally justified.
- Implement measures to comply with the Personal Data Law.
3.2. Operator’s Obligations:
- Provide subjects with information about their data processing.
- Process data in accordance with Russian law.
- Respond to data subjects’ inquiries.
- Report to authorized bodies upon request.
- Ensure data security and confidentiality.
- Destroy data as required by law.
4. Data Subjects’ Rights and Obligations
4.1. Subjects’ Rights:
- Request access, correction, blocking, or deletion of their data.
- Withdraw consent to processing.
- File complaints with authorized bodies or courts.
4.2. Subjects’ Obligations:
- Provide accurate data.
- Notify the Operator of updates to their data.
4.3. Individuals providing false data bear liability under Russian law.
5. Principles of Personal Data Processing
- Lawfulness and fairness.
- Purpose limitation.
- Data minimization and accuracy.
- Storage limitation.
6. Purposes of Processing
Purpose | Informing Users via Email |
---|---|
Personal Data | Name, email, photos |
Legal Basis | Operator’s charter; agreements |
Processing Types | Collection, storage, anonymization, email communications |
7. Processing Conditions
Processing is permitted with consent, for legal obligations, contractual performance, or public interest.
8. Data Collection, Storage, and Transfer
- Data security is ensured through legal, organizational, and technical measures.
- Data is not transferred to third parties unless legally required or consented.
- Users may update data by emailing dariaigna.ill.ph@gmail.com with the subject “Data Update”.
- Processing ceases upon achieving purposes, withdrawal of consent, or legal requirement.
9. Actions Performed by the Operator
Includes collection, recording, storage, modification, transfer, anonymization, and deletion.
10. Cross-Border Transfer
- Requires prior notification to the authorized body.
- Foreign recipients must provide necessary information.
11. Confidentiality
The Operator and authorized persons must not disclose data without consent, unless legally required.
12. Final Provisions
12.1. Users may contact dariaigna.ill.ph@gmail.com for clarifications.
12.2. The Policy is updated as needed and remains effective until replaced.
12.3. The current version is available at https://dariaignailph.com/privacy-policy.