Privacy Policy of www.psychographics.ai

This Application collects some Personal Data from its Users.

Personal Data collected for the following purposes and using the following services:

    • Access to third party accounts

      • Facebook account access

        Permissions: About Me, Access Friend Lists, Birthday, Books Actions, Create Events, Current City, Education History, Email, Events, Family Members and Relationship Status, Fitness Actions, Games and App Activity, Hometown, Likes, music.listen Action, news.read Actions, Photos, Religious and Political Views, Significant Other and Relationship Details, Status, Status Updates, Tagged Places, Upload Photos, User Timeline Posts Access, Video upload, video.watches Action, Videos, Website and Work History

    • Analytics

      • Google Analytics and Facebook Ads conversion tracking

        Personal Data: Cookies and Usage Data

    • Interaction with external social networks and platforms

      • Google+ +1 button and social widgets, LinkedIn button and social widgets, Facebook Like button and social widgets, Twitter Tweet button and social widgets and Pinterest “Pin it” button and social widgets

        Personal Data: Cookies and Usage Data

    • Registration and authentication

      • Facebook Authentication

        Personal Data: various types of Data as specified in the privacy policy of the service

    • Remarketing and behavioral targeting

      • Facebook Custom Audience

        Personal Data: Cookies and email address

    • Social features

      • Inviting and suggesting friends

        Personal Data: various types of Data

Further information about Personal Data

    • Neosperience Psychographic Engine

      Provider
      Neosperience Spa

      Purpose:
      Online survey

      Personal Data collected:
      Cookies
      Usage Data
      Users' Responses to Surveys

      Privacy Policy:
      Neosperience Psychographic Engine is a service for interacting with the online survey platform provided by Neosperience Spa that correlates psychographic profiles to social behaviors on Facebook and other social platforms.

    • Privacy Shield participation: data transfers from the EU to the United States

      The Owner participates in and complies with the EU-U.S. Privacy Shield Framework as set forth by the U.S. Department of Commerce regarding the collection, use, and retention of Personal Data transferred from the European Union to the United States. The Owner has certified to the Department of Commerce that it adheres to the Privacy Shield Principles.

      If there is any conflict between the terms in this privacy policy and the Privacy Shield Principles, the Privacy Shield Principles shall govern. To learn more about the Privacy Shield program, and to view the Owner’s certification, please visit https://www.privacyshield.gov/ (or find the direct link to the certification list of Privacy Shield participants maintained by the Department of Commerce https://www.privacyshield.gov/list).

      What does this mean for the European User?

      The Owner is responsible for all processing of Personal Data it receives under the Privacy Shield Framework from European Union individuals and commits to subject the processed Personal Data to the Privacy Shield Principles.

      This, most importantly, includes the right of individuals to access their personal data processed by the Owner.

      The Owner also complies with the Privacy Shield Principles for all onward transfers of Personal Data from the EU, which means that it remains liable in cases of onward transfers to third parties.

      With respect to Personal Data received or transferred pursuant to the Privacy Shield Framework, the Owner is subject to the investigatory and regulatory enforcement powers of the FTC, if not stated otherwise in this privacy policy.

      The Owner is further required to disclose Personal Data in response to lawful requests by public authorities, including to meet national security or law enforcement requirements.

      Dispute resolution under the Privacy Shield

      In compliance with the Privacy Shield Principles, the Owner commits to resolve complaints about its collection or use of the User’s Personal Data. European Union individuals with inquiries or complaints regarding this Privacy Shield policy should first contact the Owner at the contact details supplied at the beginning of this document referring to “Privacy Shield” and expect the complaint to be dealt with within 45 days.

      In case of failure by the Owner to provide a satisfactory or timely response, the User has the option of involving an independent dispute resolution body, free of charge.

      In this regard, the Owner has agreed to cooperate with the panel established by the EU data protection authorities (DPAs) and comply with the advice given by the panel with regard to data transferred from the EU. The User may therefore contact the Owner at the email address provided at the beginning of this document in order to be directed to the relevant DPA contacts.

      Under certain conditions – available for the User in full on the Privacy Shield website (https://www.privacyshield.gov/article?id=How-to-Submit-a-Complaint) – the User may invoke binding arbitration when other dispute resolution procedures have been exhausted

Contact information

    • Owner and Data Controller

      Neosperience SpA, Via Orzinuovi 20 - Torre Athena
      25125 Brescia (Italia) - VAT IT02792030989

      Owner contact email: dario.melpignano@neosperience.com