For the purposes of applicable international data protection laws, the respective OMNIA Entity with whom you have registered is the “controller” of personal information collected through https://omniamarkets.net (https://omniamarkets.net), other OMNIA Group entities’ websites, widgets, mobile applications and other platforms (together the “Site”), and is the company to contact if you have questions about the use of your personal information (see the “Contact Us” section below). The Policy also applies to personal data about each authorized representative of a client and about other persons or entities collected in the course of providing our services (such as directors of corporate clients).
The Policy will be reviewed from time to time to take account of changes to our operations or practices and, further, to make sure it remains appropriate to any changes in law, technology and the business environment. Any personal information held will be governed by our most current Policy.
Should you have any questions regarding the Policy, please contact us at: email@example.com. Please include your name, and mailing or email address. We may require that you provide additional information to verify your identity before allowing you to exercise certain rights outlined above.
In line with Article 24 GDPR (EU) 2016/679, taking into account the nature, scope, context and purposes
of processing as well as the risks to the rights and freedoms of natural persons, OMNIA Ltd. have
implemented appropriate technical and organizational measures to ensure pursuance to the General
Data Protection Regulation (GDPR). This policy stands as the cornerstone to OMNIA Ltd.’s compliance
with the GDPR and is reviewed and updated accordingly.
This Policy that provides data subjects with information on how OMNIA Ltd collects personal data, what
they do with it and with whom it may be shared. This privacy notice has been drafted in compliance with
the requirements of the General Data Protection Regulation, Regulation (EU) 2016/679, (the GDPR) and
on the basis of the Information Commissioner’s Code of Practice on ‘Privacy notices, transparency and
control’ and the Article 29 European Commission Guidelines on transparency under the GDPR.