This Application collects some Personal Data from its Users.
Personal Data: Data communicated while using the service; Trackers
Personal Data: Trackers
Personal Data: phone number
Personal Data: email address; field of activity; first name; last name; phone number; profession; various types of Data
Personal Data: email address; first name; last name; phone number; profession
Personal Data: Tracker; Usage Data
Personal Data: various types of Data
Personal Data: various types of Data
Personal Data: Approximate location permission (continuous); Phone permission; SMS permission
Personal Data: Tracker; Usage Data
Personal Data: various types of Data as specified in the privacy policy of the service
Personal Data: Usage Data
This policy is supplemented by Our Privacy Policy and Terms of Use which are published on Our Websites. You understand and agree that such supplementary Privacy Policy and Terms of Use shall also be applicable to you at all times, unless specifically exempted in writing by Us.
We can transfer your personal information outside of the Brazilian territory if you consent to such transfer.
When we ask for your consent, we’ll make sure to provide all the information that you need to make an educated decision and to understand the implications and consequences of providing or denying your consent.
Such information will be given in clear and plain language and in such a way that you’ll be able to clearly distinguish these requests from other consent requests that we may possibly ask.
You may withdraw your consent at any time.
Automated decision-making means that a decision which is likely to have legal effects or similarly significant effects on Users, is taken solely by technological means, without any human intervention. This Application may use the Users' Personal Data to make decisions entirely or partially based on automated processes according to the purposes outlined in this document. This Application adopts automated decision-making processes as far as necessary to enter into or perform a contract between Users and Owner, or on the basis of the Users' explicit consent, where such consent is required by the law. Automated decisions are made by technological means – mostly based on algorithms subject to predefined criteria – which may also be provided by third parties. The rationale behind automated decision-making is:
to enable or otherwise improve the decision-making process; to grant Users fair and unbiased treatment based on consistent and uniform criteria; to reduce the potential harm derived from human error, personal bias and the like which may potentially lead to discrimination or imbalance in the treatment of individuals etc.; to reduce the risk of Users' failure to meet their obligation under a contract. To find out more about the purposes, the third-party services, if any, and any specific rationale for automated decisions used within this Application, Users can check the relevant sections in this document. Consequences of automated decision-making processes for Users and rights of Users subjected to itAs a consequence, Users subject to such processing, are entitled to exercise specific rights aimed at preventing or otherwise limiting the potential effects of the automated decisions taken. In particular, Users have the right to:
obtain an explanation about any decision taken as a result of automated decision-making and express their point of view regarding this decision; challenge a decision by asking the Owner to reconsider it or take a new decision on a different basis; request and obtain from the Owner human intervention on such processing.To learn more about the Users' rights and the means to exercise them, Users are invited to consult the section of this document relating to the rights of Users.
This Application shares User Data only with third parties carefully selected to ensure that they provide the same or equal protection of User Data as stated in this privacy policy and requested by applicable data protection laws. Further information on data processing and privacy practices by third parties can be found in their respective privacy policies.
We can transfer your personal information outside of the Brazilian territory provided that we are able to ensure that any further processing of your personal information will be in compliance with the principles and the rules established by the LGPD, and your rights are safeguarded.
To do so, we may use one of the following legal means:
specific contractual clauses for each given transfer. This means that we will enter into an agreement with the recipient of your personal information to make sure that such transfers meet the requirements explained above. Such an agreement shall be subject to the ANPD’s prior verification; standard contractual clauses. These clauses set terms and conditions for the transfer of personal information and are adopted by the ANPD; global corporate clauses. These clauses set terms and conditions for the transfer of personal information within an organisation and, before they come into force, are subject to the ANPD’s prior verification; seals of approval, certificates and codes of conduct regularly issued by the ANPD. These legal instruments allow us to transfer your personal information provided that we abide by their rules. They are subject to the previous approval of the ANPD.We can transfer your personal information outside of the Brazilian territory, if the destination country, or the international organization which receives the personal information, provides an adequate level of protection of the personal information according to the ANPD. The ANPD authorizes such transfers whenever it considers that country to possess and provide personal information protection standards comparable to those set forth by the LGPD, having taken into account the following:
the general and sectoral rules of the legislation in force in the country of destination or in the international organization; the nature of the personal information subject to the transfer; the compliance with the general principles on the protection of the personal information and on the rights of the individuals as set forth in the LGPD; the adoption of suitable security measures; the existence of judicial and institutional guarantees for the respect of personal information protection rights; and any other pertinent circumstance related to the relevant transfer.Wadhwani Operating Foundation, Four Main Street, Suite 210, Los Altos, CA 94022
Owner contact email: contactus@wfglobal.org