This is to detail how BROS USA CORPORATION, as Controller, and the Processor Mr. Lanfranco Beleggia manage your personal data in accordance with the provisions of United States privacy law and the California Consumer Privacy Act. It should be noted that this information will be updated every time that a legal provision and/or company policy will implement changes to the current procedures for managing your personal information.
Below shows the references of the Data Controller and the Data Processor
BROS USA CORPORATION
175 sw 7th ST UNIT 1803
MIAMI, FL 33130
Data Processor: Lanfranco Beleggia
The updated list of data processors and persons in charge of processing is kept at the headquarters of the Data Controller.
The categories of personal information that are processed and collected include but are not limited to
The legal basis for information processing activities relates to current U.S. privacy laws and the California Consumer Privacy Act (CCPA).
The information is processed and retained for the management of commercial and administrative relations relating to the production and sale of jewelry and accessories for men and women by BROS USA CORPORATION.
In addition, your personal information may be processed to provide, operate and support our website usa.pianegonda.com and the related Services; address and resolve service, security and customer support issues; detect, prevent or otherwise address technical issues; detect, prevent or otherwise address issues concerning fraud, security or unlawful actions; comply with applicable law; and comply with and perform contractual commitments and obligations; improve and enhance our websites and related Services; return valuable analytical data or information to customers and users; update, manage, use and analyze the data we hold; identify customers for marketing purposes and provide products, Services, ads and other communications of potential interest to users; understand how users use our websites, what features they like best and least, and any problems they encounter that need to be addressed.
We strive to limit the categories of personal information about our users to include only the information necessary to achieve our goals, and we do not use information for purposes inconsistent with the above.
Personal information may be shared with the following parties:
The registered office of BROS USA CORPORATION is located in Miami, FL. Information that is collected and retained may be transferred, controlled and processed in the United States and/or other countries around the world.
The data subject has the right to receive clear information regarding the methods and purposes of processing of his/her information. S/he is required to give his/her express consent which s/he can withdraw at any time. However, it should be noted that such withdrawal does not affect the lawfulness of the processing based on the consent given before it is withdrawn. The data subject has the right to access his/her information together with the right to obtain the correction of any inaccurate information concerning him/her.
Under the CCPA, users have the right to request the deletion of personal information about them that is collected or retained by BROS USA CORPORATION. Users who wish to request the deletion of personal information or receive information on how to personally delete personal information (if available) can visit di BROS USA CORPORATION’s support portal at the website usa.pianegonda.com or send an e-mail message with “Request to Delete” in the subject line to the following e-mail address firstname.lastname@example.org, taking care to specify what personal information they wish to have deleted, which may include all personal information under the CCPA.
Requests are subject to our ability to verify the identity of the requesting party in accordance with the above regulations.
Users have the right to expressly opt out of the transfer of their personal information. We do not transfer your personal information nor have we done so.
Users, limited to California users, may designate an authorized agent to submit a request on their behalf under the CCPA if:
Users who use an authorized agent to submit a request to exercise the right to know or delete are required to ensure that the agent in question follows the procedure described in Article 8.