
Privacy notice.
1. Identity and Address of the Responsible
Pursuant to the provisions of the Federal Law on Protection of Personal Data Qifulness, SA DE CV (hereinafter QIFULNESS), with Address to hear and receive notifications at Arquimedes 31/23a Colonia Polanco, Mayor's Office Miguel Hidalgo, Zip Code 11560 City of Mexico, expressly informs you:
2. Personal data collected and processed
For the purposes indicated in this Privacy Notice, QIFULNESS after the following categories of personal data:
a) Identification data;
b) Data of personal characteristics; Y
c) Data of social circumstances.
3. Treatment of Sensitive Personal Data. Health data.
QIFULNESS does not collect sensitive personal data to carry out its purposes and users of social networks must refrain from sending this type of data through the channels available on said networks.
4. Responsibility of QIFULNESS of social network users and social network service providers.
In the event that you register or have registered on our social networks, QIFULNESS only treats the information that you have registered in your profile by managing and accessing the information that said users publish through the profiles that they have created in each social network you use to link to QIFULNESS. This treatment also includes the use of personal data for the purpose of disclosing QIFULNESS activities.
QIFULNESS accesses, manages and uses the personal data of social network users only during the period in which the users remain linked to the profiles that the Controller manages in each of the social networks involved.
Users are responsible for the accuracy, veracity and updating of the personal data they publish on their social network profiles, as well as the degree of dissemination of their information and the access to it that they allow or authorize third parties through said profiles. . Social network users are encouraged to continually review the privacy settings of their profiles on each of the websites they use to link to QIFULNESS.
Social network service providers are responsible for the databases created with the personal data of the users of said networks. These service providers are in turn responsible for the security measures they adopt to safeguard the personal data of their users.
Therefore, QIFULNESS undertakes to provide adequate access, management and use of the personal data of users who are linked through the profiles that QIFULNESS manages on various social networks. No new databases are created with the information and/or personal data of social network users.
5. Treatment purposes
a) Management of followers on social networks (Facebook, Twitter, Youtube and Google+)
b) Management of subscribers to newsletters.
c) Communication of activities.
D) Statistics of followers in social networks.
6. Personal data transfers
No data transfers to third parties are made.
7. Consent to the transfer of personal data.
Your personal data will not be transferred to third parties without your consent, except for the exceptions provided in article 17 of the Regulations of the Federal Law on Protection of Personal Data.
8. Exercise of ARCO Rights.
In all those legally pertinent cases, you may exercise your rights of Access, Rectification, Cancellation and Opposition (ARCO) at any time through the procedures that we have implemented.
The corresponding request must comply with the requirements established in current legislation, by writing to our Department of Personal Data, at the address indicated in Point 1 of this Notice.
The request must contain and accompany the following:
1. Your name and address or other means to communicate the response to your request.
2. Documents proving your identity or, where appropriate, legal representation.
3. The clear and precise description of the ARCO Rights that you wish to exercise; Y
4. Any other element or document that facilitates the location of personal data.
QIFULNESS will inform you, within a maximum period of twenty business days, counted from the date on which it receives the corresponding request, the decision adopted. If the request is appropriate, it will be effective within fifteen business days following the date on which QIFULNESS communicates the response. In the event that the information provided in your application is erroneous or insufficient, or the necessary documents are not attached to prove your identity or the corresponding legal representation, QIFULNESS, within five business days of receiving your application, will require the rectification of the deficiencies to be able to process it. In these cases, you will have ten business days to meet the rectification requirement, counted from the day after you received this request. The corresponding request will be deemed not submitted if you do not respond within said period.
Alternatively, you may direct your request through the address of the Department of Personal Data to the address datospersonales@qifulness.com complying with all the requirements listed above, complying with all the requirements listed above, establishing as Subject of the communication "ARCO Rights and/or Revocation of consent”. The terms of the procedure will be the same as those mentioned in this section. The use of electronic means for the exercise of ARCO rights authorizes QIFULNESS to respond to the corresponding request through the same means, unless the owner himself indicates another means clearly and expressly.
You may obtain the information or personal data requested through simple copies, electronic documents in conventional formats (Word, PDF, etc.), or through any other legitimate means that guarantees and proves the effective exercise of the requested right.
You will be responsible for keeping your personal data held by QIFULNESS up to date. Therefore, you guarantee and are responsible, in any case, for the veracity, accuracy, validity and authenticity of the personal data provided, and undertake to keep them duly updated, communicating any changes to QIFULNESS.
9. Exercise of ARCO Rights before Social Network Service providers
The exercise of ARCO rights against the providers of social network services in which the owners-users of said networks have created a profile will be governed, in accordance with the applicable legislation, in the terms and conditions established in the Privacy Notices, Policies of Privacy and/or Legal Notices that each service provider has provided in the social networks that they operate and manage.
10. Revocation of consent
You may revoke your consent for the processing of your personal data, without retroactive effect, in all those cases in which said revocation does not imply the impossibility of fulfilling obligations derived from a current legal relationship between you and QIFULNESS.
You may revoke your consent for the processing of your personal data by disassociating yourself from the QIFULNESS profile on any of the corresponding social networks.
The procedure for the revocation of consent, where appropriate, will be the same as that established in the immediately preceding section for the exercise of ARCO rights.
11. Limitations on the use and disclosure of your personal data
You may limit the use or disclosure of your personal data by directing the corresponding request to our Personal Data Department. The requirements to prove your identity, as well as the procedure to attend to your request, will be the same as those indicated in the section “Exercise of ARCO rights”.
Notwithstanding the foregoing, we remind you that you, as a user of social networks, are responsible for the accuracy, veracity and updating of the personal data that you publish on your social network profiles, as well as the degree of dissemination of your information and the access to the same that allows or authorizes third parties through said profiles.
12. Modifications or updates to this Privacy Notice.
QIFULNESS may modify, update, extend or in any other way change the content and scope of this Privacy Notice, at any time and under its complete discretion. In such cases, we will publish said changes on the website www.qifulness.com, Section " Privacy Notices”. Changes to this Privacy Notice may also be communicated via email or through the profile of the Responsible in the corresponding social networks, when said means had been established as a communication channel between you and the Responsible during your relationship with the person in charge or when the interface of social networks allow it.
Date of last update: July 19, 2022