Social Media Poilcy
Our Linkedin Page
Under the following link you can reach our LinkedIn page, for which we are responsible for certain functions (see below) together with LinkedIn Ireland Unlimited Company Wilton Place, Dublin 2, Ireland (LinkedIn) in accordance with Art. 26 GDPR:
https://www.linkedin.com/company/presspart
LinkedIn Ireland Unlimited Company is a subsidiary of LinkedIn Inc., based in Sunnyvale, California, USA.
Our company profile on LinkedIn can be used directly viathe LinkedIn platform or by clicking on one of the direct links on our website. If you click on the link, you will be redirected to our company profile on LinkedIn. When forwarding, no personal data is transmitted to LinkedIn, as no LinkedIn plugins are used on our site that tell the operator which pages you have visited on our website.
If you access our company profile on LinkedIn , LinkedIn processes your personal data (e.g. Your IP address, location data of your device, etc.) in accordance with your own privacy policy, which you can access under the following link:
LinkedIn Privacy Policy: https://www.linkedin.com/legal/privacy-policy?trk=hb_ft_priv
LinkedIn Ireland Unlimited Company (Ireland/EU – “LinkedIn”) is the sole controller forthe processing of personal data on our LinkedIn website. Further information on the processing of personal data by LinkedIn can be found under https://www.linkedin.com/legal/privacy-policy.
When you visit our LinkedIn company page, LinkedIn processes personal data in order to provide us with anonymous evaluations. This provides us with information about the actions you take on our LinkedIn company page (called Page Insights by LinkedIn). We do not receive any personal data from you via Page Insights, but only have access to the aggregated content. Even if we have no influence on the type and scope of the processing of your personal data by LinkedIn, the processing of personal data takes place within the framework of a joint controller pursuant to Article 26 GDPR. The processing serves the legitimate interest pursuant to Art. 6 para. 1 lit. f GDPR to obtain information about the actions on our LinkedIn company page. LinkedIn provides an agreement on processing as a joint controller, which specifies the distribution of data protection obligations between us and LinkedIn. The agreement is available at https://legal.linkedin.com/pages-joint-controller-addendum.
Insofar as we collect your personal data via our LinkedIn page (e.g. Your name, nickname, content of messages sent to us, comment content and the profile information you provide “publicly”) only to communicate and interact with you.
Your personal data will generally be processed by us for the purpose of communication and interaction on the basis of our legitimate interest pursuant to Art. 6 para. 1 lit. f GDPR. Our legitimate interest is that we pursue our business objectives through our information and communication offers on the LinkedIn page.
Insofar as we carry out processing in connection with the operation of our LinkedIn page for which your consent is required (e.g. participation in a competition, raffle, sending of a newsletter, etc.), this will be obtained separately on our part. In this case, your personal data is processed on the basis of Art. 6 para. 1 lit. a in conjunction with Art. 7 GDPR.
Insofar as the social network LinkedIn collects your data for its own purposes, for which consent is required (e.g. evaluation of user behaviour), this is also done on the basis of Art. 6 para. 1 lit. a in conjunction with Art. 7 GDPR. In this case, the necessary consent is obtained by the social network itself.
Due to the joint responsibility of LinkedIn and us for the processing of personal data on our LinkedIn presence, you can assert your rights as a data subject both with us and directly with LinkedIn.
Since LinkedIn is responsible for the majority of the data processing that takes place as a service provider, our ability to access your data is very limited. Only the service provider has full access to your data in accordance with the terms of use of the network. For this reason, usually only the provider of the social network can take and implement the necessary measures to fulfill your rights as a data subject (e.g. right to information, deletion, objection, etc.). The assertion of corresponding rights is thus most effective directly against the network provider.
Please note that personal data is also processed by LinkedIn in the USA.
Our Youtube Channel
YouTube LLC or the parent company Google Ireland Limited is the sole controller for the processing of personal data on our YouTube company page. Further information on the processing of personal data by YouTube LLC or Google can be found at https://policies.google.com/privacy?hl=de&gl=de.
When you visit our YouTube company page, ( https://www.youtube.com/presspart) YouTube processes personal data in order to provide us with evaluations in anonymous form. We do not receive any personal data from you, but only have access to the aggregated content. Even if we have no influence on the type and scope of the processing of your personal data by YouTube, this processing of personal data takes place within the framework of a joint controller pursuant to Article 26 GDPR. The processing serves the legitimate interest pursuant to Art. 6 para. 1 lit. f GDPR to obtain information about the actions on our YouTube company page.
In the case of requests for information and the assertion of user rights, it is pointed out that these can be asserted most effectively directly against Google, because only Google has access to the data of the users and can directly take appropriate measures and provide information.
Please note that personal data is also processed by YouTube LLC in the USA.
Our Facebook Page
Under the following link you can reach our Facebook page, for which we are responsible for certain functions (see below) together with Meta Platforms Ireland Limited based in Dublin (Ireland) in accordance with Art. 26 GDPR:
https://www.facebook.com/Presspart/
Meta Platforms Ireland Limited is a subsidiary of Meta Platforms, Inc. (formerly Facebook Inc. ) based in Menlo Park, California, USA (Meta Platforms).
If you visit our Facebook page listed above, Meta Platforms collects, among other things: Your IP address and other information that Meta Platforms stores on your PC in the form of cookies in order to provide us as the operator of the Facebook pages with statistical information about the use of the Facebook page.
Meta Platforms provides further information on data processing in this context under the following link: https://de-de.facebook.com/help/pages/insights.
In joint responsibility pursuant to Art. 26 GDPR with Meta Platforms, it is analyzed how you use our fan page (page insights function). Meta Platforms provides the information to be provided in accordance with the GDPR on data processing in the context of page insights under the link: https://www.facebook.com/privacy/explanation.
Meta Platforms also provides you with the relevant contents of the agreement concluded between Meta Platforms and us on processing in joint responsibility pursuant to Article 26 GDPR under the following link: https://www.facebook.com/legal/terms/page_controller_addendum.
Meta Platforms Ireland Limited has agreed to assume primary responsibility under the GDPR for the processing of Insights Data and to comply with all obligations under the GDPR in relation to the processing of Insights Data. This applies in particular to Art. 12 and 13 GDPR, Art. 15 to 22 GDPR and Art. 32 to 34 GDPR.
The statistical information transmitted to us no longer constitutes personal data for us, so that it is not possible for us to identify you on the basis of this data. We only use the statistical data to the extent that we generally want to better understand the interests of our users in order to improve our online presence and ensure the quality of our online offers.
Insofar as we collect your personal data via our Facebook page (e.g. Your name, nickname, content of messages sent to us, comment content and the profile information you provide “publicly”) only to communicate and interact with you.
Your personal data will generally be processed by us for the purpose of communication and interaction on the basis of our legitimate interest pursuant to Art. 6 para. 1 lit. f GDPR. Our legitimate interest is that we pursue our business objectives through our information and communication offers on the Facebook page.
Insofar as we carry out processing in connection with the operation of our Facebook page for which your consent is required (e.g. participation in a competition, raffle, sending a newsletter, etc.), this will be obtained separately on our part. In this case, the processing of your personal data takes place on the basis of Art. 6 para. 1 lit. a in conjunction with Art. 7 GDPR.
Insofar as the social network Facebook collects your data for its own purposes, for which consent is required (e.g. evaluation of user behaviour), this is also done on the basis of Art. 6 para. 1 lit. a in conjunction with Art. 7 GDPR. In this case, the necessary consent is obtained by the social network itself.
Due to the joint responsibility of Meta Platforms and us for the processing of personal data on our Facebook presence, you can assert your rights as a data subject both with us and directly with Meta Platforms.
Since Meta Platforms is responsible for the majority of the data processing that takes place as a service provider, our ability to access your data is very limited. Only the service provider has full access to your data in accordance with the terms of use of the network. For this reason, usually only the provider of the social network can take and implement the necessary measures to fulfill your rights as a data subject (e.g. right to information, deletion, objection, etc.). The assertion of corresponding rights is thus most effective directly against the network provider.
Please note that personal data is also processed by Meta Platforms in the USA.
Our Twitter Page
Under the following link you can reach our Twitter page, for which we are responsible for certain functions (see below) together with the service provider (Twitter) in accordance with Art. 26 GDPR:
The information service Twitter we use is operated by a US company, Twitter Inc. provided. The business address of Twitter Inc. : 1355 Market Street, Suite 900, San Francisco, CA 94103, USA. Twitter International Company is responsible for the processing of personal data of individuals living outside the United States . The business address of Twitter International Company: One Cumberland Place, Fenian Street, Dublin 2 D02 AX07, Ireland.
The Services may include content such as images, videos, buttons that allow you to interactively use the Twitter Services (e.g., the “Share” and “Rate” functions). If you are a member of the Twitter platform, it is possible for Twitter to assign the use of the above-mentioned Twitter services to the respective member profile.
The exact information about which data is processed by Twitter and for what purposes can be found in Twitter’s privacy policy under the following link:
https://twitter.com/de/privacy.
You can object to the individualization of your personal data by Twitter under the following link:
https://twitter.com/personalization.
We have no influence on the way in which Twitter processes data.
Data processing by us only takes place to the extent that we may “re-tweet” your tweets or reply to these messages or write tweets from us that contain information about your account. In this way, data made public by you can be made accessible to our followers.
The use of our Twitter page can be done directly viathe Twitter platform or by clicking on one of the direct links on our website. Clicking on the link will redirect you to our company profile on Twitter.
When forwarding, no personal data is transmitted to Twitter, as no Twitter plugins are used on our site that tell the operator which pages you have visited on our website.
For the processing of personal data on our Twitter company page, Twitter International Company or the parent company Twitter Inc. sole controller.
When you visit our Twitter company page, the service provider Twitter processes personal data in order to provide us with evaluations in anonymous form. We do not receive any personal data from you, but only have access to the aggregated content. Even if we have no influence on the type and scope of the processing of your personal data by Twitter, this processing of personal data takes place within the framework of a joint controller pursuant to Article 26 GDPR. The processing serves the legitimate interest pursuant to Art. 6 para. 1 lit. f GDPR, to receive information about the actions on our Twitter company page.
In the case of requests for information and the assertion of user rights, it is pointed out that these can be asserted most effectively directly against Twitter, because only the service provider has access to the data of the users and can directly take appropriate measures and provide information.
Insofar as we collect your personal data via our Twitter page (e.g. Your name, nickname, content of messages sent to us, comment content and the profile information you provide “publicly”) only to communicate and interact with you.
Your personal data will generally be processed by us for the purpose of communication and interaction on the basis of our legitimate interest pursuant to Art. 6 para. 1 lit. f GDPR. Our legitimate interest is that we pursue our business objectives through our information and communication offers on the Twitter page.
Insofar as we carry out processing in connection with the operation of our Twitter page for which your consent is required (e.g. participation in a competition, raffle, sending of a newsletter, etc.), this will be obtained separately on our part. In this case, the processing of your personal data takes place on the basis of Art. 6 para. 1 lit. a in conjunction with Art. 7 GDPR.
Insofar as the service provider Twitter collects your data for its own purposes, for which consent is required (e.g. evaluation of user behaviour), this is also done on the basis of Art. 6 para. 1 lit. a in conjunction with Art. 7 GDPR. In this case, the necessary consent is obtained by the social network itself.
Due to the joint responsibility of Twitter and us for the processing of personal data on our Twitter page, you can assert your rights as a data subject both with us and directly with Twitter.
Since Twitter is responsible for the majority of the data processing that takes place as a service provider, our ability to access your data is very limited. Only the service provider has full access to your data in accordance with the terms of use of the network. For this reason, usually only the provider of the service can take and implement the necessary measures to fulfill your rights as a data subject (e.g. right to information, deletion, objection, etc.). The assertion of corresponding rights is thus most effective directly against the network provider.
Please note that personal data is also processed by Twitter (service provider) in the USA.