In accordance with § 4g (2) of the German Federal Law on Data Protection (BDSG), the representative for data protection is required to make the information from points 1-8 available to anyone upon request, as stated in § 4e (1) BDSG.
Name of the controller:
Jettainer GmbH
Executive Board:
Karl-Heinz Köpfle
Alexander Plümacher
Manager of Data Processing:
Dr. Ralf Hoelper
Data Protection Officer:
Dr. Barbara Kirchberg-Lennartz, FRA DSB
Address of the Controller:
Jettainer GmbH
Am Prime Parc 13
65479 Raunheim
Purpose of data collection, processing or use:
The company has the right to promote its business purpose, to establish national and international subsidiaries and agencies, to acquire stakes in other national or international companies, to take over or establish such companies and to engage in all business,
including entering into joint venture contracts. The company can hand over its operations to such companies in parts or in its entirety. Data collection, processing and usage is conducted to carry out the above-mentioned purposes. The focus of personal data processing is in the following areas: Human Resources (management and development), suppliers (management according to standardized German bookkeeping regulations “Grundsätze Ordnungsgemäßer Buchführung”), customers (CRM), secretarial and managerial functions,
in accordance with the electronic data processing agreement established between LH AG and the appropriate bodies for labor relations.
Description of the affected groups and
the associated data or data categories:
Customer data, employee data, shareholder data and data concerning suppliers, in so far as it is required to fulfil the purposes mentioned in the point "Determining the purpose of collection, processing or use of data".
Recipients or categories of recipients
to whom the data may be disclosed:
Public authorities if superior legal requirements dictate this, external contractors according to §11 BDSG and external entities in order to fulfil the purposes mentioned in the point "Determining the purpose of collection, processing or use of data".
Standard data retention periods:
Once the period of storage stipulated by either legislation or regulatory authorities has expired, the relevant data will be deleted. Should this not apply, the relevant data is deleted if the criteria from point 4 are no longer valid.
Planned transmission of data
to third countries:
In order to carry out actions within the framework of the business purpose, data may be transferred in accordance with the above-mentioned international guidelines to public authorities, customers and suppliers in different countries.
Security measures:
Jettainer GmbH takes safeguarding measures pursuant to § 9 BDSG by practicing caution when awarding contracts, by maintaining appropriate quality regulations, and by training its staff.
Jettainer GmbH
Data protection officer
Dr. Barbara Kirchberg-Lennartz
FRA DSB
Airportring
60546 Frankfurt
E-mail: dsb@dlh.de