Privacy policy
Privacy policy of Marcius Seguridad SL (tax ID B56610397). GDPR, LOPD-GDD and LSSI-CE. How we process your personal data.
In accordance with applicable law, Marcius Seguridad SL (hereinafter also the Website) undertakes to adopt the technical and organisational measures required, according to the security level appropriate to the risk of the data collected.
The Spanish version of this policy is the legally binding text.
Laws incorporated in this privacy policy
This privacy policy is adapted to current Spanish and European rules on personal data protection on the internet. In particular it respects:
- Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 on the protection of natural persons with regard to the processing of personal data and on the free movement of such data (GDPR).
- Organic Law 3/2018 of 5 December on Personal Data Protection and guarantee of digital rights (LOPD-GDD).
- Royal Decree 1720/2007 of 21 December approving the regulation implementing Organic Law 15/1999 of 13 December on Personal Data Protection (RDLOPD).
- Act 34/2002 of 11 July on Information Society Services and Electronic Commerce (LSSI-CE).
Identity of the data controller
The controller of personal data collected on Marcius Seguridad SL is: Marcius Seguridad SL, tax ID (NIF/CIF): B56610397 (hereinafter, the Controller). Contact details:
Address: Avda. Astronomía, 1. Torre 3, Planta 6. Puerta 2, 41015 SEVILLA
Phone: +34 611 948 590
Email: info@marciusseguridad.com
Register of personal data
In compliance with the GDPR and LOPD-GDD, personal data collected by Marcius Seguridad SL through forms on its pages will be processed in order to facilitate, speed up and fulfil the commitments established between Marcius Seguridad SL and the User, or to maintain the relationship established in the forms the User fills in, or to deal with a request or enquiry. In accordance with the GDPR and LOPD-GDD, unless the exception in Article 30.5 GDPR applies, a record of processing activities is kept specifying, according to purposes, the processing activities carried out and the other circumstances set out in the GDPR.
Principles applicable to processing
Processing of the User’s personal data shall be subject to the principles in Article 5 GDPR and Article 4 et seq. of Organic Law 3/2018:
- Lawfulness, fairness and transparency: the User’s consent will be required at all times after fully transparent information on the purposes for which personal data are collected.
- Purpose limitation: personal data will be collected for specified, explicit and legitimate purposes.
- Data minimisation: personal data collected will be only those strictly necessary in relation to the purposes for which they are processed.
- Accuracy: personal data must be accurate and kept up to date.
- Storage limitation: personal data will be kept in a form which permits identification of the User only for as long as necessary for the purposes of processing.
- Integrity and confidentiality: personal data will be processed in a manner that ensures their security and confidentiality.
- Accountability: the Controller is responsible for ensuring the above principles are met.
Categories of personal data
The categories of data processed by Marcius Seguridad SL are identifying data only. Special categories of personal data within the meaning of Article 9 GDPR are not processed.
Legal basis for processing
The legal basis for processing personal data is consent. Marcius Seguridad SL undertakes to obtain the User’s express and verifiable consent to process their personal data for one or more specific purposes.
The User may withdraw consent at any time. Withdrawal shall be as easy as giving consent. As a general rule, withdrawal of consent will not condition use of the Website.
Where the User must or may provide data through forms to make enquiries, request information or for reasons related to the Website content, they will be informed if any field is mandatory because it is essential for the operation requested.
Purposes of processing
Personal data are collected and managed by Marcius Seguridad SL in order to facilitate, speed up and fulfil the commitments established between the Website and the User, or to maintain the relationship established in the forms the User fills in, or to deal with a request or enquiry.
Data may also be used for commercial purposes of personalisation, operations and statistics, and activities within the corporate purpose of Marcius Seguridad SL, as well as for extraction, storage of data and marketing studies to adapt the Content offered to the User and to improve the quality, operation and browsing of the Website.
When personal data are obtained, the User will be informed of the specific purpose or purposes of processing; that is, of the use or uses that will be given to the information collected.
Retention periods
Personal data will be retained only for the minimum time necessary for the purposes of processing, or until the User requests erasure.
When personal data are obtained, the User will be informed of the period for which personal data will be stored or, where that is not possible, the criteria used to determine that period.
Recipients of personal data
The User’s personal data are not disclosed to third parties except where required by law or to providers necessary for the operation of the Website (hosting, email and, where applicable, analytics with consent).
If the Controller intends to transfer personal data to a third country or international organisation, when the personal data are obtained the User will be informed of that third country or international organisation and of the existence or absence of an adequacy decision by the Commission.
Personal data of minors
In accordance with Articles 8 GDPR and 7 of Organic Law 3/2018, only persons aged 14 or over may lawfully give consent to processing of their personal data by Marcius Seguridad SL. If the data subject is under 14, consent of parents or guardians is required, and processing is lawful only to the extent they have authorised it.
Secrecy and security of personal data
Marcius Seguridad SL undertakes to adopt the technical and organisational measures required, according to the security level appropriate to the risk of the data collected, so as to ensure the security of personal data and prevent accidental or unlawful destruction, loss or alteration of personal data transmitted, stored or otherwise processed, or unauthorised disclosure of or access to such data.
However, because Marcius Seguridad SL cannot guarantee the impregnability of the internet or the total absence of hackers or others who fraudulently access personal data, the Controller undertakes to notify the User without undue delay when a personal data breach occurs that is likely to result in a high risk to the rights and freedoms of natural persons. Under Article 4 GDPR, a personal data breach means a breach of security leading to accidental or unlawful destruction, loss, alteration, unauthorised disclosure of, or access to, personal data transmitted, stored or otherwise processed.
Personal data will be treated as confidential by the Controller, who undertakes to inform of and to ensure through a legal or contractual obligation that such confidentiality is respected by employees, associates and anyone to whom the information is made accessible.
Rights arising from processing of personal data
The User may exercise against the Controller the following rights recognised in the GDPR and Organic Law 3/2018:
- Right of access: to obtain confirmation as to whether Marcius Seguridad SL is processing their personal data and, if so, information about those data and the processing carried out, including available information on the origin of the data and recipients of communications made or planned.
- Right to rectification: to have inaccurate personal data corrected or, having regard to the purposes of processing, incomplete data completed.
- Right to erasure (“right to be forgotten”): to obtain erasure of personal data when they are no longer necessary for the purposes for which they were collected or processed; the User has withdrawn consent and there is no other legal basis; the User objects and there is no overriding legitimate ground; the data have been unlawfully processed; erasure is required to comply with a legal obligation; or the data were obtained in connection with an information society service offered directly to a child under 14. In addition to erasure, the Controller, taking into account available technology and the cost of implementation, shall take reasonable steps to inform controllers processing the personal data of the data subject’s request to erase any links to those personal data.
- Right to restriction of processing: when the User contests the accuracy of the data; processing is unlawful; the Controller no longer needs the data but the User needs them for claims; and when the User has objected to processing.
- Right to data portability: where processing is carried out by automated means, to receive personal data in a structured, commonly used and machine-readable format and to transmit them to another controller. Where technically feasible, the Controller will transmit the data directly to that other controller.
- Right to object: to object to processing of personal data by Marcius Seguridad SL or to have it cease.
- Right not to be subject to a decision based solely on automated processing, including profiling: unless applicable law provides otherwise.
The User may exercise their rights by written communication to the Controller with the reference “GDPR-Marcius Seguridad SL”, specifying:
- Full name of the User and a copy of ID. Where representation is accepted, identification of the representative by the same means and proof of representation. The ID copy may be replaced by any other legally valid means of proving identity.
- The request with the specific reasons or the information sought.
- Address for notifications.
- Date and signature of the applicant.
- Any document proving the request.
The request and any attachments may be sent to:
Postal address: Avda. Astronomía, 1. Torre 3, Planta 6. Puerta 2, 41015 SEVILLA
Email: info@marciusseguridad.com
Links to third-party websites
The Website may include hyperlinks to websites of third parties other than Marcius Seguridad SL, which are not operated by Marcius Seguridad SL. The owners of those sites will have their own data protection policies and will be responsible for their own files and privacy practices.
Complaints to the supervisory authority
If the User considers there is a problem or infringement of applicable law in the way their personal data are being processed, they have the right to effective judicial protection and to lodge a complaint with a supervisory authority, in particular in the Member State of habitual residence, place of work or place of the alleged infringement. In Spain the supervisory authority is the Spanish Data Protection Agency (https://www.aepd.es/).
II. Acceptance and changes to this privacy policy
The User must have read and agreed to the conditions on personal data protection in this Privacy Policy, and accept processing of their personal data so that the Controller may proceed as indicated, for the periods and purposes stated. Use of the Website implies acceptance of this Privacy Policy.
Marcius Seguridad SL reserves the right to modify this Privacy Policy, at its own discretion or due to a legislative, case-law or doctrinal change of the Spanish Data Protection Agency. Changes will not be expressly notified to the User. Users are advised to consult this page periodically.
This Privacy Policy was updated to comply with Regulation (EU) 2016/679 (GDPR) and Organic Law 3/2018.
This Privacy Policy document was created on 29/04/2025.