Privacy Policy

Privacy Policy

  • 1 - APPLICABLE LEGISLATION
  • 2 - THE COMPANY RESPONSIBLE FOR THE PROCESSING OF PERSONAL DATA
  • 3 - NATURE AND DESCRIPTION OF DATA COLLECTED
  • 4 - USE OF USER DATA
  • 5 - SHARING OF USER INFORMATION
  • 6 - RIGHTS OF THE USER ON HIS PERSONAL DATA
  • 7 - PROTECTION OF PERSONAL DATA IN THE EVENT OF ACCOUNT CLOSURE
  • 8 - JURISDICTIONAL JURISDICTION IN CASE OF DISPUTE, CONTROVERSY OR DISPUTE

1 - APPLICABLE LEGISLATION

This Privacy Policy for the User's personal information and data will be subject to the following legislation: - Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 on the protection of individuals with regard to the processing of personal data and on the free movement of such data, and repealing the directive 95/46/EC; - Spanish Organic Law 3/2018, of December 5, of Protection of Personal Data and Guarantee of Digital Rights; - Spanish Organic Law 7/2021, of May 26, of Protection of Personal Data collected for the purposes of prevention, detection, investigation and prosecution of criminal offenses and execution of criminal penalties. - Spanish Real Ordinance 389/2021, of June 1, establishing the Statute of the Spanish Data Protection Agency (AEPD).

2 - THE COMPANY RESPONSIBLE FOR THE PROCESSING OF PERSONAL DATA

All personal data entered, shared and published by the User on the INTERNPRENEUR web page are collected and processed by the Spanish law company, ALL-IN FACTORY, owner of said page, with registered office in Barcelona, Carrer Rector Triadó, 40, bajos 2, 08014, whose intra-community VAT number is ESB67154153, hereinafter referred to as “AIF”. Any request, petition or communication relating to personal data must be communicated either by email to the following address info@allinfactory.com or by post to: ALL IN FACTORY INTERNPRENEUR Privacy Policy Carrer Rector Triadó, 40, bajos 2 08014 – Barcelona (Spain)

3 - NATURE AND DESCRIPTION OF DATA COLLECTED

AIF, as part of the operation of the services offered on the INTERPRENEUR site, processes and collects the following data: 1. At the time of registration: the User must indicate his full name, address and place of residence, email address, telephone number, as well as a password. The latter must also provide payment and billing information for paid services. 2. When creating the profile: the User must complete his profile by indicating, as the case may be, his training, his professional experience, his skills, his CV, and/or professional status, affiliated or managed company, position held , and recommendations. 3. When creating a CV or an application: the User, if he is looking for an internship offer, must complete his CV and complete an online application. 4. At the time of the publication of an internship offer: the User, if he wishes to propose an internship offer, must indicate all the characteristics of the position, the skills sought, the expected mission, the objective as well as the duration and any remuneration. 5. In the event of interactions on the site: AIF collects all the information communicated when the User sends, receives or consults messages on the site. 6. In the event of importing accounts and/or external data: if the User wishes to import his address book and/or his personal and/or professional calendar, he accepts that the company AIF has access to it and that the latter can collect information relating to his contacts and calendar, and this in order to offer him new similar relations as well as close events. 7. Cookies: by continuing to browse the site, the User accepts that AIF may collect all the information generated by cookies (username, browsing history, advertising tags, IP address, operating system, etc.) . The latter can however refuse the cookies present on the site but in this case his experience may be significantly affected. 8. Location of the User: the latter accepts that AIF may collect the identifier of the device used, its geographical position as well as its browsing history, the IP address of the device, the proxy server, the operating system, web browser, add-ons, features and device ID, cookie IDs and/or the name of your mobile operator or internet service provider). AIF will in any case request authorization from the User to be able to know his geographical position and the device used.

4 - USE OF USER DATA

The main objective of the collection and processing of User data by AIF is to personalize its services as much as possible and to offer the User a tailor-made experience, as follows: 1. Expand the User's professional network: depending on whether the User represents a company wishing to put an internship proposal online or looking for an internship, the INTERNPRENEUR site makes it possible to put these two economic players in contact. Outside this framework, the services offered by the site also allow you to stay in touch with acquaintances, work colleagues, partners, customers and other professionals. In order to ensure this connection, AIF will use all User information to make recommendations of similar profiles. 2. Being able to publish internship offers or apply for an internship offer: the services offered by the site are designed for both parties, business owners on the one hand, and internship seekers on the other. It is for the first to have access to a targeted audience and to seek the profiles with the most suitable skills. The latter can apply for internship offers adapted to the desired career path. The profiles of both are accessible in order to bring out common professional opportunities. 3. Communications and interactions: AIF may contact the User by email, push notifications on the portable application, publications on the site, message on the site or by sms on the registered telephone number, in order to communicate to him any information of interest in the services offered. Business owners and recruiters will be able to receive candidate recommendations and information on the follow-up of the internship offer posted online. Internship seekers will be able to receive recommendations for internship offers as well as any follow-up information on the applications submitted. Users will also be able to communicate with each other to share opinions, applications, career paths, recommendations, meetings and monitoring of selection processes, etc. The User may always modify his communication preferences at any time. 4. Maintenance and improvement of services: AIF will also use the User's data for the purpose of checking the functionality of the services, to improve them, respond to User complaints and resolve any bugs or problems in the services. 5. Prevention of fraudulent, nuisance and potentially criminal acts: AIF will use the User's data and information to examine and investigate any situation likely to constitute possible fraud, violation of the T&Cs, nuisance to other Users (visitors or other) or constituting an offence.

5 - SHARING OF USER INFORMATION

As a general rule, AIF does not share any of the User's personal data with third parties or advertising companies except with the express consent of the latter. However, the User data and information that may be shared are as follows: 1. The User Profile: it is visible to all other Users, visitors or others. The User can of course modify his preferences and choose whether this information can be seen by third parties. 2. Service providers: The provision of the Services offered on the Site requires the use of external service providers in order to ensure the maintenance, hosting, security, audit, monitoring and development of the entire INTERNPRENEUR ecosystem. . The latter are also subject to the same strict standards and requirements in terms of confidentiality and protection of the personal data of Users of this Personal Data Protection Policy. 3. Judicial acts: in the event of an injunction or any other exclusively judicial measure aimed at requesting access to the personal data of one or more Users, AIF, being required to do so by law, will communicate all the content concerned. In such a case, the User may be notified by AIF of such a scenario. In addition, the latter may transfer to justice any information likely to constitute an illegal activity, fraud, embezzlement and any type of criminal act. 4. Contractual obligations: AIF reserves the right to retain and bring to justice any information and/or personal data of the User in the event of a dispute with the latter, breach of contract and/or breach of contract, to the extent where it may serve the interests of the former. 5. Sharing of communications for accounting purposes: in the event that the User needs to assert or justify his activity on the site, for reasons of legal or legal-accounting compliance, AIF may communicate the history of exchanges of the User.

6 - RIGHTS OF THE USER ON HIS PERSONAL DATA

Under European and national legislation on the protection of personal data, any User has the following rights: 1. Right of access: any User may, upon simple request by email or by post to the attention of the company AIF, examine all the personal information that the latter has about him and request a copy if necessary; 2. Right of control: any User can modify their preferences to limit, or lift any limit, as to the collection, use, sharing and visibility of their personal data; 3. Right of rectification: any User may, in his individual profile file, correct any erroneous information; 4. Right of deletion: any User may, upon simple request by email or by post to the attention of the company AIF, demand the pure and simple elimination of part or all of the information and personal data concerning him from the INTERNPRENEUR website database.

7 - PROTECTION OF PERSONAL DATA IN THE EVENT OF ACCOUNT CLOSURE

In the event of account closure by the User, his personal information and data will cease to be visible within 24 hours and the account will be permanently deleted within 30 days. However, certain personal data information concerning the User may be maintained and kept by AIF, even after the closure of the account, if these are related to legal obligations in progress or not completely executed, necessary in the event of litigation, controversy or dispute, likely to constitute fraudulent or tortious acts, or if these are not prescribed.

8 - JURISDICTIONAL JURISDICTION IN CASE OF DISPUTE, CONTROVERSY OR DISPUTE

This Privacy Policy is subject to European legislation, in general, and Spanish legislation in the event of the location of the disputed fact, cited in point I. Any dispute relating to this Privacy Policy, the formation, validity, interpretation, execution or termination of these, will be, failing amicable resolution as provided for in the previous article, submitted exclusively to the courts of Barcelona.

🎉 Launch Special: 70% off with LAUNCH70! Limited to first 100 subscribers - hurry!

X