This site is subject to compliance with the French law of January 6, 1978, known as “Informatique et Libertés”;
it has been declared to the National Commission for Computing and Liberties (CNIL).
The site is subject to regulations concerning marketing communication, the law of June 21, 2014 for confidence in the Digital Economy, the Data Protection Act of August 06, 2004 as well as the General Data Protection Regulation (RGPD: n ° 2016-679).
Collection of personal data:
The terms “personal data”, “data subject”, “subcontractor” and “sensitive data” have the meaning defined by the General Data Protection Regulation (RGPD: n ° 2016-679)
As responsible for processing the data it collects, SATT Conectus undertakes to comply with the framework of the legal provisions in force. It is their responsibility in particular to establish the purposes of their data processing, to provide their prospects, users and customers, from the collection of their consents, with complete information on the processing of their personal data and to maintain a processing register in line with reality. Whenever SATT Conectus processes personal data, it takes all reasonable measures to ensure the accuracy and relevance of the personal data collected for the purposes for which SATT Conectus processes them.
SATT Conectus refrains from processing, hosting or transferring the information collected from users to another country. However, SATT Conectus remains free to choose its technical and commercial subcontractors on the condition that it presents sufficient guarantees with regard to the requirements of the General Data Protection Regulation (RGPD: No. 2016-679).
SATT Conectus undertakes to take all necessary precautions to preserve the security of the information collected and in particular that it is not communicated to unauthorized persons. However, if an incident affecting the integrity or confidentiality of a user’s information should affect or be brought to the attention of SATT Conectus, the latter must inform the user as soon as possible and notify him of the corrective measures. taken.
SATT Conectus does not collect any “sensitive data”.
Within the limits of their respective attributions and for the purposes mentioned above, the main people likely to have access to the personal data of SATT Conectus users are mainly the people in charge of maturing investment files, management of research contracts, financial management, communication and management.
Invisible collection of information relating to the visitor’s navigation:
SATT Conectus records certain personal data relating to the habits of prospects, users and customers on the site, subject to their consent.
SATT Conectus uses this data internally for statistical purposes relating to users, their interests and behavior, and for exchange and information purposes with users, with the aim of always serving them better.
These personal data are compiled and analyzed in their entirety, and may include the URL that has just been visited, the one to which the user will go (whether these URLs are on the SATT Conectus site or not) , the browser used and the IP address.
COOKIE WARNING: a cookie is installed by SATT Conectus on the user’s computer when they come to the site, which does not identify them; on the other hand, it records information relating to navigation (the pages consulted, the date and time of the consultation, etc.).
The retention period of this information on the user’s computer is limited to the time of the connection session and will be erased after a period of twelve (12) months.
Destination of the information collected:
Electronic messages sent through the links on the site are kept for processing and for a sufficient period necessary for their processing.
SATT Conectus undertakes not to communicate the personal data collected to any third party without the prior consent of the user. SATT Conectus does not sell personal data which is therefore only used out of necessity or for statistical, analysis or communication purposes between SATT Conectus and the user.
SATT Conectus may process all or part of personal data:
to allow navigation on the site, management and traceability of connection data and site use
to conduct optional satisfaction surveys
to carry out information campaigns (enewsletter or emailings)
to carry out actions to recruit candidates (jobs, competitions, calls for projects, etc.)
For more information, the user can contact the DPO at the following address: firstname.lastname@example.org to consult the processing register on the website www.challenge-myphd.com.
As such, he has the following rights:
right of access (article 15 RGPD) and rectification (article 16 RGPD), update, completeness of user data right to block or erase user personal data (article 17 of the RGPD), when they are inaccurate, incomplete, equivocal, out of date, or the collection, use, communication or conservation of which is prohibited,
right to withdraw consent at any time (article 13-2c RGPD),
right to limit the processing of user data (article 18 GDPR),
right to object to the processing of user data (article 21 GDPR),
right to portability of data that users have provided, when this data is subject to automated processing based on their consent or on a contract (article 20 GDPR)
As soon as SATT Conectus becomes aware of the death of a user and in the absence of instructions from him before his death, SATT Conectus undertakes to destroy the data concerning him, unless their retention would prove to be strictly necessary for probative purposes or to meet a legal obligation.
If the user wishes to know how SATT Conectus uses their personal data, requests to rectify them or objects to their processing, the user can contact SATT Conectus in writing at the following address:
SATT Conectus – For the attention of the DPO – 5 rue Schiller 67000 Strasbourg. email@example.com
In this case, the user must indicate the personal data that he wishes SATT Conectus to correct, update or delete, by identifying himself precisely with a copy of an identity document (identity card or valid passport).
Requests for the deletion of personal data will be subject to the obligations imposed on SATT Conectus by law, in particular with regard to the preservation or archiving of documents.
Finally, it is recalled that users of SATT Conectus can file a complaint with the supervisory authorities, and in particular the CNIL (https://www.cnil.fr/fr/plaintes).