1) Data Controller
Skandik-Noversk (“Skandik-Noversk”, “the Company”) acts as the controller of personal data collected through this website, contact channels, and corporate communications.
Address: TBD (recommended to complete)
Governing jurisdiction:
2) Legal framework and principles
This notice is issued under the Mexican LFPDPPP and its regulations; and, where applicable based on service scope and/or the data subject’s location, under the EU GDPR, including:
- GDPR Art. 5: lawfulness, fairness and transparency; purpose limitation; data minimization; accuracy; storage limitation; integrity and confidentiality; accountability.
- GDPR Art. 32: security of processing through appropriate technical and organizational measures based on risk.
- LFPDPPP: notice/consent where required and ARCO rights.
3) Data we may collect
- Identity & contact: name, email, phone, role/title, company.
- Business & negotiation data: requirements, proposals, NDAs/contracts, billing (as applicable), meeting information.
- Telecom/fintech/operations: data needed for support, operational validation, fraud prevention, or service continuity (case-dependent).
- Technical: IP address, browser/device data, security logs, session identifiers.
- Sensitive data: not collected as a rule; if required, we will provide specific notice and legal basis/consent.
4) Purposes
Primary (necessary) purposes:
- Respond to contact requests, support tickets, and commercial follow-up.
- Manage relationships with customers, vendors and partners (telecom, fintech, commerce, negotiations).
- Prepare, execute and manage proposals, contracts, compliance and audit.
- Operate security controls (fraud/abuse prevention, unauthorized access prevention, continuity and traceability).
Secondary (optional) purposes:
- B2B marketing and service updates (opt-out available).
- Aggregated analytics to improve products/services (de-identified where possible).
5) Legal basis
- Contract / pre-contract (quotes, negotiations, service delivery).
- Legitimate interests (security, fraud prevention, operational continuity), where applicable.
- Consent (secondary communications or non-essential cookies), where required.
- Legal obligations (tax/accounting, regulatory or lawful requests).
6) Processors, sharing and international transfers
We may share data with service providers (“processors”) such as hosting, email, security, analytics, CRM/ERP, subject to confidentiality and security commitments. For international transfers, we apply reasonable safeguards (contractual clauses, access controls, technical measures).
7) Retention
We retain data as necessary to fulfill the purposes described, comply with legal obligations and/or defend legal claims. Retention varies by data type. Data is deleted or anonymized when no longer needed.
8) Rights
Depending on the applicable framework, you may exercise ARCO rights (Mexico) and/or GDPR rights (EU), including access, rectification, deletion, restriction, portability and objection, as applicable.
9) Security (GDPR Art. 32)
We implement reasonable measures such as access controls, segregation, logging/monitoring, vulnerability management, encryption where applicable, and backup/continuity to protect confidentiality, integrity and availability.
10) Cookies
We may use essential cookies for site functionality. Non-essential cookies (analytics/marketing) are enabled only where a consent mechanism applies. Manage cookies via your browser settings. (Complete with actual cookie list if used.)
11) Corporate communications & confidentiality
Corporate messages and attachments may contain confidential or privileged information related to telecom, fintech, commerce and negotiations. Unauthorized use is prohibited. If received in error, notify the sender and delete it.
12) Changes
We may update this notice. The current version will be published here with the last updated date.
Atajos / Shortcuts
• Privacy contact: privacy@skandik-noversk.com
• Home: Skandik-Noversk