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action or later. Please see Debugging in WordPress for more information. (This message was added in version 6.7.0.) in /home/fortuna/public_html/hotel-en/wp-includes/functions.php on line 6114Data controller: Relako Tourism and Catering Bt. (Short: Relako Bt.)<\/p>\n
Address: H – 3519 Miskolc, Csaba u. 2.<\/p>\n
Company registration number: Cg. 05-06-005258<\/p>\n
Tax number: 21298273-2-05<\/p>\n
Phone number: 00 46 432 345<\/p>\n
E-mail: fortuna@fortuna-hotel.hu<\/p>\n
Website: www.fortuna-hotel.hu<\/p>\n
Representative: Adrien Kov\u00e1cs Rejt\u0151n\u00e9<\/p>\n
E-mail: adrien@fortuna-hotel.hu<\/p>\n
As Data Controller, Relako Bt owns and operates Fortuna Hotel in accordance with the provisions of REGULATION (EU) 2016\/679 OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL (hereinafter: the \u201cData Protection Act\u201d) and respects the personal rights and security of the data of its guests, Thus, depending on this, it has prepared its Privacy Policy and the Privacy Policy (hereinafter: the Prospectus), which is also available on paper at Fortuna Hotel.<\/p>\n
This Prospectus provides general information on all identifiable natural persons \/ persons involved in the operation of the Data Controller – persons using the service, performing work and becoming in partnership during operation – and on the handling of personal data that may be contacted with them.<\/p>\n
Our Company handles personal data only for a predetermined operational purpose, for the performance of its activities, for the time necessary for the exercise of rights and for the fulfillment of obligations, which data management is essential for the realization of the purpose related to its activities.<\/p>\n
The processing of data of minors under the age of 16 requires the consent or approval of their legal representative.<\/p>\n
If personal data is used for a purpose other than the purpose for which it was originally collected, we will inform the data subject in advance and ask for their prior consent, or provide the data subject with the opportunity to prohibit the use.<\/p>\n
The personal data that came to our knowledge during the processing of data may only be disclosed to those who have a contractual contract with our Company or to persons who have an employment relationship with the Company and who have a duty in connection with the given data processing.<\/p>\n
Data subject: any natural person identified or identifiable, directly or indirectly, on the basis of personal data;<\/p>\n
Personal data: data which can be contacted with the data subject – name of the data subject, identification mark, knowledge of one or more physical, physiological, mental, economic, cultural or social identities – and a conclusion to be drawn from the data concerning the data subject;<\/p>\n
Specific data: personal data relating to racial origin, nationality, political opinion or party affiliation, religious or other beliefs, membership of an advocacy organization, sexual data, and personal data relating to health status, pathological passion, and criminal personal data;<\/p>\n
Consent: the voluntary and explicit expression of the will of the data subject, based on adequate information and giving his or her unambiguous consent to the processing of personal data concerning him or her, in full or in part;<\/p>\n
Objection: a statement by the data subject objecting to the processing of his or her personal data and requesting the termination of the processing or the deletion of the processed data;<\/p>\n
Data controller: a natural or legal person or an organization without legal personality who, alone or together with others, determines the purpose of data processing, makes and implements decisions on data processing (including the means used), or implements it with a data processor entrusted by it.<\/p>\n
Data management: any operation or set of operations on data, regardless of the procedure used, in particular the collection, recording, recording, systematisation, storage, alteration, use, interrogation, disclosure, coordination or aggregation, blocking, erasure and destruction of data, and to prevent further use of the data, to take photographs, sound or images and to record physical characteristics capable of identifying the person (eg fingerprint or palm print, DNA sample, iris image);<\/p>\n
Data transfer: making the data available to a specific third party;<\/p>\n
Disclosure: making data available to anyone;<\/p>\n
Data erasure: making data unrecognizable in such a way that it is no longer possible to recover it;<\/p>\n
Data marking: the identification of the data in order to distinguish it;<\/p>\n
Data blocking: the provision of an identifier for the purpose of restricting the further processing of data for a definitive or specified period of time;<\/p>\n
Data processing: the performance of technical tasks related to data management operations, regardless of the method and means used to perform the operations and the place of application, provided that the technical task is performed on the data;<\/p>\n
Data processor: the natural or legal person or legal entity a non-regulated organization that processes data on the basis of a contract concluded with the data controller, including the conclusion of a contract on the basis of a provision of law;<\/p>\n
Third party: a natural or legal person or entity without legal personality who is not the data subject, the controller or the processor.<\/p>\n
Data protection incident: unlawful handling or processing of personal data, in particular unauthorized access, alteration, transmission, disclosure, deletion or destruction, and accidental destruction and damage.<\/p>\n
III. Data management<\/p>\n
III.1. Use of hotel services<\/p>\n
In the scope of the provision of services, the processing of all data related to data subjects is based on voluntary consent, the purpose of which is to ensure the provision of services related to the activity and operation and to maintain contact. In order to protect the data, the Company will keep the personal data for a period of time in accordance with tax and accounting regulations, and will delete it after the deadline.<\/p>\n
Due to the individual services, it is possible to provide additional exceptional data, which helps to meet the needs of our stakeholders – guests, employees, partners – but this is not a condition for booking a room and using other services.<\/p>\n
III.1.1. Room reservation \/ Request for quotation<\/p>\n
In the case of online, personal, paper-based or telephone room reservations, the Company requests \/ may request the following data from the Guest:<\/p>\n
For more information on the handling of room reservation data, please send a request to fortuna@fortuna-hotel.hu.<\/p>\n
III.1.2. Application form<\/p>\n
In order to use the hotel service, the Guest fills in a notification form upon arrival, by which the hotel agrees to the fulfillment of the following mandatory data and the proof of fulfillment of the obligations specified in the relevant legislation (especially the legislation on immigration and tourist tax), and for the purpose of identifying the Guest, as long as the competent authority is able to verify compliance with the obligations laid down in the relevant legislation:<\/p>\n
Third-country national: Any person other than a Hungarian national who is not a national of a Member State of the European Economic Area, including a stateless person.<\/p>\n
EEA Member States: the Member States of the European Union, Iceland, Liechtenstein and Norway as participating Member States, and Switzerland as a State with the same status.<\/p>\n
The provision of the mandatory data by the Guest is a condition for the use of the hotel service. By signing the application form, the guest agrees that the personal data provided by filling in the application form will be processed and archived by our Company for the purpose of proving the fulfillment of the contract and the fulfillment of the claim within the deadline indicated above.<\/p>\n
Only the employees of the Data Controller entrusted with data management or the data processors have the right to access the personal data, unless another person or body, including the authorities entitled to control, has the right to access the data in accordance with legal regulations.<\/p>\n
We will send you information about the data handled in connection with the room reservation upon your request to the email address fortuna@fortuna-hotel.hu.<\/p>\n
III.1.3. Bank details<\/p>\n
The bank, credit card \/ bank account data provided during the room reservation and the Nice Card data are used by our data processing officer and the Data Processors in a contractual relationship with our Company only to the extent and for the time necessary to exercise their rights and fulfill their obligations. Data generated during banking operations are handled by the Company’s contractual banking partners. Information on this data management can be found on the websites of the competent Bank (Budapest Bank, OTP Bank, MKB Bank, K&H Bank in the case of Sz\u00e9p cards).<\/p>\n
For more information on the data incurred during banking operations, please send a request to the email address fortuna@fortuna-hotel.hu.<\/p>\n
III.2. Camera system<\/p>\n
Fortuna Hotel, operated by Relako Bt, has cameras in place for the personal and property safety of guests and the operator. The purpose of camera surveillance is personal security and protection of property. The protection of devices, equipment and the personal values \u200b\u200bof those concerned which represent significant values, given that the detection of infringements, the prevention of the perpetrator and the prevention of such infringements are not otherwise possible or can be proved by other means. Camera surveillance covers the indoor communal areas as well as the courtyard area. The interiors that mean personal freedom – rooms, changing rooms, restrooms – are not camera-packed.<\/p>\n
You can get more information about the data management related to the camera system from our hotel.<\/p>\n
III.3. Newsletter<\/p>\n
Our company does not send newsletters.<\/p>\n
III.4. Facebook page<\/p>\n