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Provider:

Mabelu eG 
In de Wisch 1
27777 Ganderkesee

Phone: +49 4221 24 74 1

Email: info (at) mabelu .de

Represented by the Board:
Nils Eikermann

Legal form:
Registered cooperative

Cooperative register:
Reg. No. 200074

Register court:
Local Court of Oldenburg

Registered office of the cooperative:
Ganderkesee

Cooperative association:
RBGP-Rheinisch Bergischer Genossenschafts- und Prüfungsverband e.V.

Image credits:

Photos from webnode are used. 

The information on these web pages has been carefully checked and is based on the latest available data. Nevertheless, no guarantee can be given for completeness, accuracy, or absolute timeliness.

DATA PROTECTION

Data collection when visiting the website

  1. When visiting the website, data that the browser automatically transmits to the web server is regularly collected, such as the IP address, the URLs of the website from which this website was accessed, the browser used, browser language, the operating system and interface used, the access device with which the services are used, date and time of access, the pages of this website accessed and the time spent on this website.
  2. The legal basis for processing this data is the legitimate interest pursuant to Art. 6 (1) (f) GDPR, which arises from the purposes listed below. This information is used in order to
    • enable the retrieval and visit of the website,
    • continuously improve the website and services from a technical perspective and further adapt them to the needs of users,
    • carry out internal quality controls,
    • identify, remedy and prevent errors, malfunctions and possible misuse,
    • compile statistics on access channels and the use of the website.

Contact

  1. If contact is made by email, telephone or by any other means, the data is used to respond to the inquiry in accordance with Art. 6 (1) (b) GDPR. The data collected in this context is deleted once storage is no longer necessary, generally within one year after the inquiry has been answered. Insofar as this involves business correspondence within the meaning of commercial or tax law, the correspondence is retained for the legally prescribed periods (generally six years). If the inquiry serves to initiate a business relationship (for example, in the case of contact as a potential customer or interested party), the data is processed as described under Data processing of business partners.

Data recipients

  1. External service providers are used for operating the website and, where necessary for the performance of their tasks, may be granted access to personal data. In particular, a hosting service provider is used for the technical hosting of the website. All data protection regulations are of course observed and service providers are obligated to comply with them where required.

Rights of data subjects, right to lodge a complaint, right to object

  1. Subject to the respective legal requirements, data subjects have the right of access pursuant to Art. 15 GDPR, the right to rectification pursuant to Art. 16 GDPR, the right to erasure pursuant to Art. 17 GDPR, the right to restriction of processing pursuant to Art. 18 GDPR, the right to object pursuant to Art. 21 GDPR and the right to data portability pursuant to Art. 20 GDPR. There is the right, on grounds relating to the particular situation, to object at any time to the processing of personal data which is based on Art. 6 (1) (f) GDPR (Art. 21 (1) GDPR).
  2. There is also the right to lodge a complaint with the data protection supervisory authorities pursuant to Art. 77 GDPR.

Data processing of business partners

  1. Data is processed relating to other business partners with whom there is a business relationship or with whom a business relationship is to be initiated. This particularly concerns contact details of contact persons at business partners and communication with contact persons (e.g. written correspondence, email correspondence), and, where applicable, contract and billing data or other data in connection with the initiation, handling and performance of contracts. This data is generally received directly. Contact details may also be obtained from publicly accessible sources (e.g. websites, social networks, industry directories) or on the basis of a recommendation from business partners.
  2. The legal basis for data processing for pre-contractual and contractual purposes is Art. 6 (1) (b) GDPR. This particularly includes contract initiation, contract handling/performance, billing and collection. If the contracting party is not the individual personally but their employer, data processing is carried out on the basis of the legitimate interests of both parties and their employer in contract initiation and contract performance pursuant to Art. 6 (1) (f) GDPR. Where contact is initiated proactively, the legal basis is the legitimate interest in initiating a business relationship pursuant to Art. 6 (1) (f)