Privacy policy LinkedIn company page

SICK is pleased about your visit on our website and your interest in our company, in our products and our services. Protecting your privacy is important to us and we want you to feel secure while visiting our website. To this end, we would like to explain below what information we process during your visit on our LinkedIn company page.

Responsible SICK AG
Erwin-Sick-Straße 1
79183 Waldkirch
Germany
Purpose of processing Operation of the LinkedIn company page
Categories of data
  • Contact details
  • Message (content of the message / comment)
Legal basis GDPR Art. 6 (1) a) – Consent
Legitimate interest We want to provide you with the best possible professional and linguistic support and offer you assistance as quickly as possible.
Consequences of failure to provide data The provision of personal data is not required by law or contract. In case of non-provision, the fulfillment of the purpose is not possible.
Retention time Data will be deleted immediately after revocation of consent.
Data source We only process data that you provide to us directly.
Recipients of the data
  • Web Hoster
    • SICK AG
  • E-Mail marketing provider
    • SICK AG
  • Depending on the request and based on your origin, personal data will be transferred to the country unit within the SICK Group responsible for the request.
    In case of necessary involvement of experts from other international business units within the SICK Group, the data will be forwarded to the respective business units.
    A list of the country companies within the SICK Group can be found at: https://www.sick.com/contact/worldwide
Transmission to third countries If the responsible national company within the SICK group is based in a third country for which no adequacy finding has been made by the Commission, the transfer will take place on the basis of Art. 49 (1) lit. b GDPR. In some special cases, the responsible national company within the SICK group must involve experts from other companies within the SICK group. If this company is based in a third country for which no adequacy finding has been made by the Commission, the transfer will take place on the basis of Art. 49 (1) lit. c GDPR.
Logic of automated decision-making We do not use automated decisions.

 

 

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  • 瞭解相應的個人相關資料;
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  • 傳輸相應的個人相關資料;
  • 如果處理相應的個人相關資料是基於您的同意,則日後可撤回同意;以及
  • 只要您認為相應的個人相關資料處理違反資料保護法,可向資料保護監督機構投訴

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