Data privacy

Information according to Art. 13 GDPR:

Names and contact details of the responsible person:
HEINE + BEISSWENGER Foundation + Co. KG
Höhenstraße 22, 70736 Fellbach, Germany
https://www.heinestahl.de
E-Mail: info@heine-beisswenger.de
Represented by: Matthias Heine, Robert Heine, Dr. Ing. Michael Kässberger, Andreas Willer

Contact details of the data protection officer:
Marc Weiß - Marc Weiß Verwaltungs-GmbH
Herrenkellergasse 6, 89073 Ulm, Germany
http://www.mwv-ulm.de

The data collection is done for the purpose of operating a website, for the transfer of data via a contact form, for the evaluation of access, for the writing and reading of cookies. The survey is based on Art. 6, 1a GDPR, as well as on the basis of Art. 6, 1f GDPR. Your visit to this site constitutes a significant relationship between you and the operator of this site in accordance with Art. 6, 1.f GDPR. Categories of recipients of the personal data are: Technical operator of the website, person responsible for the website within the meaning of the GDPR, affiliated group companies, processor within the meaning of Art. 28 GDPR. This site uses Google Analytics. Tracking data collected will be transmitted to Google LLC, 1600 Amphitheater Parkway, Mountain View, CA 94043, USA. Personal data is stored for the period of validity of the respective consent and in accordance with the legal retention periods. They have the right of information on the part of the person responsible concerning the personal data concerned, as well as rectification or erasure or restriction of processing or right to object to processing and the right to data portability. You also have the right to revoke your consent at any time without affecting the lawfulness of the processing on the basis of your consent until you revoke it. For the person concerned, there is a right of appeal to the supervisory authority. The fields marked as mandatory fields are required for the conclusion of a contract, a non-provisioning can lead to the fact that the corresponding process can not be processed. There are no automated decision-making processes including profiling according to Article 22 (1) and (4) GDPR.