Privacy Policy

This legal text gives you details of how we collect and process your personal data through the use of our website.www.bsolis.com, including any information that you can provide us through the site when you provide us with your contact information through the form provided for this purpose.

By providing us with the data, we inform you that our services are not possible for those people who are prevented by regulations from giving consent, so when you send us the forms you guarantee that you have sufficient capacity to grant consent.

Below we inform you about the data protection policy of:Construcciones Bonifacio Solís, S.L

1. Responsible for the treatment.

Contact details of the person in charge:

Construcciones Bonifacio Solís, S.LIt is made up of the companies that you can consult in Annex I, and address at: Plaza Doña Elvira, Local 2, Urb. Aloha Pueblo 29660 Marbella Málaga and telephone: 952815080.

We have a Data Protection Officer, with whom you can contact through the following email:dpo@bsolis.com 

Construcciones Bonifacio Solís, S.L  is Registered in the Mercantile Registry of Malaga, Volume 1742, Book 655, Folio 133, Section 8, Sheet MA 6948, I/A 28

Construcciones Bonifacio Solís, S.L, is responsible for your data. (hereinafter we or our). 

2. What data do we collect?

The General Data Protection Regulation defines thepersonal information as all information about an identified or identifiable natural person, that is, any information capable of identifying a person. This would not include anonymous or percentage data.

The personal data that could be collected directly from the interested party will be treated confidentially and will be incorporated into the corresponding treatment activities, owned byConstrucciones Bonifacio Solís, S.L.

On our Website we may process certain types of personal data, which may include:

  • Identity data: name and surname.
  • Contact information: email and telephone

In the event that you are required to collect personal data by law or under the terms of contract between us and you refuse to provide it to us, we may not be able to perform said contract or provide the service, and you must notify us in advance.

3. How do we collect your personal data?

The means we use to collect personal data are:

  • Through the form on our website, through our contact emails, by phone or postal mail, when:
    • Request information about our products or services
    • Hire the provision of our services or products
    • Request budgets
    • Send us your resume
  • Through technology or automated interactions: On our site we may automatically collect technical data about your equipment, browsing actions and usage patterns. These data are collected through cookies or similar technologies. If you want more information, you can consult our cookies policy here
  • Through third parties:
    • Google: analytical data or search data. Outside the European Union.

4. Purpose and legitimacy for the use of your data.

The most common uses of your personal data are:

  • For the formalization of a contract betweenConstrucciones Bonifacio Solís, S.L and you.
  • When you give your consent to the processing of your data.
  • When we need them to comply with a legal or regulatory obligation.
  • When necessary for our legitimate interest or that of a third party.

The User may revoke the consent given at any time by sending an email to dpo@bsolis.com or consulting the exercise of rights section below.

Below we attach a table in which you can consult the ways in which we are going to use your personal data and the legitimacy for its use, in addition to knowing what type of personal data we are going to process. We may process some personal data for some additional legal reason, so if you need details about this you can send an email todpo@bsolis.com

FormpurposeType of dataLegitimacy for your treatment
ContactThe purpose is the management of contacts and requests for information received via the webNameSurnamesEmailtelephoneConsent of the interested party (art. 6.1.a GDPR)
Pre-contractual measures (art. 6.1.b GDPR)Processing is necessary for the satisfaction of legitimate interests pursued by the controller (art. 6.1f GDPR)
Work with usSelection of personnel and provision of jobs
NameSurnamesEmailtelephoneCurriculum
Treatment necessary for the execution of a contract in which the interested party is a party or for the application at his request of pre-contractual measures (art. 6.1b GDPR)
Processing necessary to comply with a legal obligation applicable to the controller (art. 6.1.c GDPR)Royal Legislative Decree 2/2015, of October 23, which approves the revised text of the Workers’ Statute Law

purpose: we will only use your data for the purposes for which we collected it, unless we reasonably consider that we should use it for another purpose, notifying you in advance so that you are informed of the legal reason for its processing and as long as the purpose is compatible with the original purpose .

5. How long will we keep your data?

They will be kept for the time necessary to fulfill the purpose for which they were collected and to determine the possible responsibilities that may arise from said purpose and the processing of the data. The provisions of the different regulations regarding the conservation period will apply, in what is applicable to this treatment.

6. Minors.

Construcciones Bonifacio Solís, S.Ldoes not authorize minors under 14 years of age to provide their personal data through the means enabled on this website (filling in the web forms for requesting services, contact or by sending emails). Therefore, people who provide personal data using said means formally state that they are over 14 years of age, remainingConstrucciones Bonifacio Solís, S.L exempted from any liability for failure to comply with this requirement.
If your child under the established age limit has provided personal information toConstrucciones Bonifacio Solís, S.L, contact us to request the exercise of your applicable rights.

In those cases in which the services offered byConstrucciones Bonifacio Solís, S.L are intended for children under 14 years of age, the means will be enabled to obtain the authorization of the parents or legal guardians of the minor

7. Exercise of Data Protection Rights:

How to exercise these rights? Users may direct a communication to the registered office ofConstrucciones Bonifacio Solís, S.L or email address dpo@bsolis.com, including in both cases a photocopy of your ID or other similar identification document, to request the exercise of the following rights:

  • access to your personal data: you can askConstrucciones Bonifacio Solís, S.L if you are using your personal data.
  • To request yourrectification, if they were not correct, or to exercise theright to be forgotten with respect to them.
  • To request thetreatment limitation, in this case, they will only be kept byConstrucciones Bonifacio Solís, S.L for the exercise or defense of claims
  • A stand against to your treatment:Construcciones Bonifacio Solís, S.L will allow the data to be processed in the manner that you indicate, unless for legitimate reasons or for the exercise or defense of possible claims, these must continue to be processed.
  • To theportabilityof the data: in case you want your data to be processed by another firm,Construcciones Bonifacio Solís, S.L, will facilitate the portability of your data to the new person in charge.

You can use the models made available to you by the Spanish Agency for Data Protection, to exercise your previous rights:Here

Complain to the DPO AEPD: if you consider that there is a problem with the way in whichConstrucciones Bonifacio Solís, S.L,is processing your data, you can address your claims in advance to the Data Protection Officer, who will mediate for the correct resolution of the conflict:

  • DPO email:dpo@bsolis.com
  • Address: Plaza Doña Elvira, Local 2, Urb. Aloha Pueblo 29660 Marbella Málaga

If it is not possible to resolve the conflict, you can always go to the corresponding control authority, being in Spain, the competent one for it:Spanish Data Protection Agency.

We will request specific information from you to help us confirm your identity and ensure your right to access your personal data (or exercise any of the other rights mentioned above). This is a security measure to ensure that personal data is not disclosed to anyone who does not have the right to receive it.

We will resolve all requests within the indicated legal term of one month. However, it may take us longer than a month if your request is particularly complex. In this case, we will notify you and keep you updated.

8. Data communication: provision of services.

It is possible that, in the performance of our work, we need the help of third parties, who will only process the data to provide the contracted service, and with whom we have the corresponding measures to guarantee your rights:

  • Service providers that provide information technology and system administration services.
  • Professional advisers including lawyers, auditors and insurers who provide banking, legal, insurance and accounting consultancy services

All data processors to whom we transfer your data will respect the security of your personal data and treat it in accordance with the GDPR.

We only allow such processors to process your data for certain purposes and in accordance with our instructions. However, you can ask us, in compliance with transparency, for a list of who these companies are that provide us with services, you can do so by email:dpo@bsolis.com 

  9. Data Security.

We have implemented appropriate security measures to prevent your personal data from being accidentally lost, used or accessed in an unauthorized manner, modified or disclosed. In addition, we limit access to your personal data to those employees, contracting agents and other third parties who have a business need to know such data. They will only process your personal data on our instructions and will be subject to a duty of confidentiality.

We have implemented procedures to deal with any suspicion of violation of your personal data and we will notify you and the Control Authority in the event that a security breach occurs, as regulated in the GDPR in its articles 33 and 34.