General Data Protection Notice of MunnsUK Ltd. & MUNNS CZ.
(Mad-Dawg Motors, Mad-Dawg Fabrication, Zoo-zana Fostering & Hedonist Photography)
In accordance with the EU General Data Protection Regulation (GDPR), I am obliged to comprehensively inform you about the processing of your personal data by MunnsUK Ltd. & Munns CZ. Hereunder I inform you about the processing of your personal data and about your rights.

1. General information
I generally work alone, however sometimes within a small team to provide services related to metal fabrication, motor repair, photographic services or care and adoptions of needy animals.
Protecting your privacy and personal data is important to me. I would like to inform you of which personal data I will collect from you, how I use it and what your rights are. This General Privacy Notice provides an overview of the general processing of your data by MunnsUK Ltd. & Munns CZ.

2. Who is responsible for the processing of your data?
David Munns
I
ČO 09932682
Tel: +420 604 488 001
E-Mail: david(at)munns(dot)cz
UK reg: 13563902
Tel: +44 7749 484 389
E-Mail: david(at)munns(dot)uk
For written requests related to Data Protection, use the above e-mail address with the addition of "c/o Data Protection Munns CZ/UK" to the subject line.

3. Why and on what legal basis do MunnsUK Ltd. & Munns CZ process your data?
MunnsUK Ltd. & Munns CZ process your personal data in a lawful and transparent manner, in good faith and in accordance with the General Data Protection Regulation (GDPR), only for as long as
it is necessary for the fulfilment of a contract with you or for the execution of pre-contractual measures which take place at your request (Art. 6 para. 1 lit. b. GDPR), e.g., business related communication or transferring money to your bank account or; or
you have given your consent to the processing (Art. 6 para. 1 lit. a GDPR), e.g., for e-mail marketing; or
the processing is necessary for the purposes of the legitimate interests pursued by us or a third party (Art. 6 para. 1 lit. f DSGVO), e.g., recognition and elimination of misuse, defence in legal disputes, assertion of claims, prevention and clarification of criminal offences; or
it is necessary due to other legal requirements, e.g., storage of documents for commercial and tax purposes or notification obligations to authorities (Art. 6 para. 1 lit. c GDPR); or
the processing is necessary to protect the vital interests of the data subject or another natural person (Art. 6 para. 1 lit. d GDPR) or is in the public interest (Art. 6 para. 1 lit. e GDPR).
If you do not provide MunnsUK Ltd. & Munns CZ with the necessary information, I may not establish the business relationship you have requested, conclude the contract or execute the order. I can also no longer execute an existing contract and may have to terminate it.

4. What kind of data is processed?
I primarily collect data directly from you, but in rare cases I also generate data from public sources such as registers and websites.
The personal data processed includes
Master data (e.g., names, addresses and customer numbers),
Contact data (e.g., e-mail addresses and telephone numbers),
Contract data (e.g., services used, order history, contract contents, contractual communication, names of contact persons) and
Payment data (e.g., bank details, payment history).
MunnsUK Ltd. & Munns CZ only processes special categories of personal data pursuant to Article 9 of the GDPR act if these are part of a commissioned or contractual processing.

5. To whom does MunnsUK Ltd. & Munns CZ transfer data?
MunnsUK Ltd. & Munns CZ undertakes to use only subcontractors who are familiar with GDPR and provide appropriate measures and services on data protection. Your data will be passed on to third parties very restrictively, e.g., if this is necessary to fulfil the (pre-)contractual relationship or to pursue our claims or if there is a legal obligation to do so, and in certain cases at the request of a government agency. Within the scope of processing, it is possible that your personal data may be passed on to contract processors (service providers, vicarious agents). These will have been carefully selected by me and are obliged to us in accordance with the statutory provisions of Art. 28 GDPR to treat your data confidentially and to observe my own data protection standards. In particular, my contract processors are not permitted to use the data themselves for commercial purposes. Your data may be passed on to the following recipients:
Agencies & cooperation partners
Credit agencies & debt collection service providers (for credit checks, dunning procedures)
Financial institutions
Print service provider
External legal representatives, auditors, corporate and tax consultants
Internal positions & Group companies
IT service providers
Suppliers
Postal & logistics service providers
Telecommunications Providers
Repair & service providers
Insurances
Administrative authorities & other government agencies

6. Does MunnsUK Ltd. & Munns CZ conduct credit checks?
I may transmit your data (name, address, e-mail address, information on the company and, if applicable, contract and claim data) in the event of a credit risk for the purpose of credit assessment and debt collection processing, as well as to check the deliverability of the address provided to you and, if applicable, to other cooperating credit agencies. The legal basis for this transfer is Art. 6 para. 1 lit. b and Art. 6 para. 1 lit. f GDPR. Transmissions to safeguard legitimate interests may only take place to the extent that this is necessary for MunnsUK Ltd. & Munns CZ and does not outweigh the interests or fundamental rights and freedoms of the person concerned which require the protection of personal data.
If I receive data from credit agencies or debt collection agencies, I also use scoring as a mathematically and statistically recognised and proven method in accordance with Art. 6 para. 1 lit. f and Art. 22 GDPR to calculate the probability with which a customer will meet their payment obligations in accordance with the contract.

7. Duration of storage or criteria for storage duration
Personal data will only be used as long as it is necessary for the respective purpose, unless you have given your consent to MunnsUK Ltd. & Munns CZ or MunnsUK Ltd. & Munns CZ has a legitimate interest in further processing. In these cases, MunnsUK Ltd. & Munns CZ will process this data until you revoke your consent or until you object to the legitimate interests of MunnsUK Ltd. & Munns CZ due to your particular situation. I will delete your personal data as soon as the purpose of the processing has been fulfilled or storage is otherwise no longer legally permissible. Due to the amount of data, this check for deletion takes place with regard to specific data types or purposes of processing. However, it is possible that your personal data will be stored until legal claims against MunnsUK Ltd. & Munns CZ can no longer be asserted (legal limitation period between 3 and 30 years). In addition, I store your personal data to the extent that I am legally obliged to do so. Corresponding documentation and storage obligations are regulated in the respective national laws.

8. Will data be transferred to countries outside the EU/EEA?
Your personal data is generally processed within the EU or the European Economic Area. If it is necessary for MunnsUK Ltd. & Munns CZ to pass on data to other associated companies or third parties for the fulfilment of data processing purposes, MunnsUK Ltd. & Munns CZ will ensure that the personal data of the data subject remains within the European Union or the European Economic Area.
If this is not possible and a transfer of personal data to a third country becomes necessary, e.g., to other cooperation partners in third countries such as the USA, MunnsUK Ltd. & Munns CZ will ensure that there is a legal basis for this. These are usually
consent pursuant to Art. 6 para. 1 lit. a) GDPR
the existence of an adequacy decision of the European Commission (Art. 45 GDPR). A published and constantly updated list of these countries can be found here: https://ec.europa.eu/info/law/law-topic/data-protection/data-transfers-outside-eu/adequacy-protection-personal-data-non-eu-countries
Use of guarantees in the form of standard contractual clauses under data protection law (Art. 46 para. 2 lit. b GDPR) of the European Commission for data transfer to third countries. A published and constantly updated list of clauses can be found here: https://ec.europa.eu/info/law/law-topic/data-protection/data-transfers-outside-eu/model-contracts-transfer-personal-data-third-countries

9. What rights do you have?
You have the right to obtain from MunnsUK Ltd. & Munns CZ
Information on the personal data stored about you (data categories, processing purposes, possibly recipient of the data, planned storage period), Art. 15 GDPR;
Correction or addition of incorrect or incomplete data, Art. 16 GDPR;
Deletion of personal data (in certain cases), Art. 17 GDPR;
Restriction of processing (under certain conditions), Art. 18 GDPR;
Data portability (under certain conditions), Art. 20 GDPR,
Objection to the processing of your personal data on the basis of a weighing of interests, Art. 21 GDPR, and
Revocation of your consent to the processing of your personal data with effect for the future, Art. 7 para. 3 GDPR,
with the exception of any contrary, other legal requirements as prescribed in the GDPR.
If you exercise your right to deletion, objection or revocation, I will no longer process your personal data unless I can prove mandatory reasons, which outweigh your interests, rights and freedoms, or the processing serves the purpose, exercise or defence of legal claims.
In the event of a request for information or correction which is not made in writing, I ask for your understanding that MunnsUK Ltd. & Munns CZ will then require proof of your identity. This serves in particular to protect your data from unauthorized access by third parties.
To exercise these rights, you can contact me at any time - e.g., via one of the contact channels indicated at the beginning of this data protection notice. According to Article 77 GDPR, you are also entitled to lodge a complaint with a competent supervisory authority for data protection, which you can find in this list: http://ec.europa.eu/justice/article-29/structure/data-protection-authorities/index_en.htm

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