Privacy Notice
Version 0.1
Privacy Notice
Serur, Camara, Mac Dowell, Meira Lins, Moura, Rabelo e Bandeira de Mello Advogados ('Serur Advogados') presents this Privacy Notice ('Notice') with the purpose of informing about the treatments carried out and the controls used to guarantee the security and integrity of personal data.
With this, Serur Advogados reinforces its commitment to respect privacy and transparency in the relationships established with the holders of personal data.
1. How is personal data used by Serur Advogados?
Serur Advogados processes personal data to fulfill, among others, the following purposes:
- Provision of legal services to the owners, of a consultative or contentious nature;
- Provision of relevant content, such as institutional announcements, invitations, reminders and thanks for events, feedback surveys, and physical materials, including brochures and booklets;
- Maintenance of the relationship with the holder, including for the purpose of complying with the requests made by him through the communication channels provided;
- Guarantee of compliance with legal or regulatory obligations, including in response to legal proceedings or a request made by a competent legal authority, under the terms of the General Law on the Protection of Personal Data;
- Ensure the adequate development of the activities of Serur Advogados, including for the purpose of hiring new members, training and training of personnel, and conducting other administrative and financial activities;
- Guarantee of the protection of the rights and interests of Serur Advogados, in judicial, administrative or arbitral proceedings or proceedings, including those deriving from a contract concluded with the owner.
2. How is personal data collected?
Serur Advogados generally obtains or collects personal data through interaction with the owner himself, which may occur through:
- From the Serur Advogados website (https://serur.com.br/);
- Electronic Mail and instant message exchange systems, meaning all services used to maintain electronic communications, including WhatsApp, Telegram, SMS (short message service) and the like;
- From the service centers provided by Serur Advogados;
- In other ways provided by the owner himself, including physically or electronically, in person or remotely.
In addition, Serur Advogados Dados also obtains or collects data through sharing with third parties, such as government agencies, partners, service providers and suppliers, websites and social networks, or even from public sources.
3. What types of personal data are collected?
Serur Advogados collects and processes so-called “Personal Data” that identify the owner as an individual, such as name, address, including e-mail address, and telephone number.
In addition, on certain occasions, it is possible for Serur Advogados to process “Sensitive Personal Data”, such as those related to health, for example.
Serur Advogados does not request, collect, process, store, or share personal data from underage children and adolescents, unless notified by at least one of the parents, legal guardian or any other legal entity, and provided that it meets a legal and legitimate purpose.
4. How is personal data protected?
Serur Advogados is committed to ensuring adequate protection of personal data. Therefore, it adopts reasonable technical, administrative and managerial mechanisms and procedures to preserve the integrity, availability, and confidentiality of personal data, especially against improper access and incidents that may result in the loss, alteration, destruction, or communication of the data processed by Serur Advogados.
5. About the Sharing and Transfer of Personal Data
Serur Advogados may share or transfer personal data to third parties, in Brazil or abroad, when necessary to achieve the purposes that gave rise to the data processing. Third parties include:
- Other units of Serur Advogados, including those that may be inaugurated after obtaining or collecting personal data;
- Partners and service providers, including, but not limited to, correspondents, partner offices, recruitment and selection consultancies, companies specializing in technology or information or cloud hosting services, software providers, and professional accountants and occupational medicine;
- Government entities and authorities, including bodies that oversee labor, financial and regulatory, Judicial, or Legislative activities.
Finally, under no circumstances does Serur Advogados sell the personal data being processed.
6. Cookies
Access to the Serur Advogados website (https://serur.com.br) will result in the sending of “Cookies” (small files) to the owner of the personal data, responsible for storing the IP and the owner's region.
Cookies are also protected by this Notice.
7. How long is personal data stored?
Serur Advogados will store personal data for the period necessary to fulfill the purposes that gave rise to its processing.
However, Serur Advogados may also store personal data for the purpose of complying with a legal or regulatory obligation, ensuring transfer to a third party or for its exclusive use, when acting as a controller, through the anonymization of personal data.
8. What are the rights of the owner of the personal data?
Serur Advogados, in situations where it acts as Personal Data Controller, recognizes and guarantees the following rights to the holders of personal data:
- Right to confirm the existence of treatment;
- Right to access personal data in a clear manner;
- Right to correct incomplete, inaccurate, or outdated personal data;
- Right to portability of personal data to another law firm, subject to the commercial and industrial secrets of Serur Advogados;
- Right to information from public and private entities with which Serur Advogados shared personal data;
- Right to information about the possibility of not providing consent and the consequences of the refusal;
- Right to delete personal data processed with the consent of the holder, except in the cases of legal custody and others provided for in the General Law on the Protection of Personal Data;
- Right to revoke consent for the processing of personal data, except in situations provided for in the General Law on the Protection of Personal Data;
- Right to anonymize, block or delete unnecessary, excessive, or processed personal data in non-compliance with the General Personal Data Protection Act and this Policy;
The rights of the owner of the personal data may be exercised through the communication channels detailed in this Policy, and it is necessary to verify the identity of the owner.
In this sense, any requests without providing the necessary evidence to prove the legitimacy of the personal data subject will be automatically rejected.
Serur Advogados warns that, on certain occasions, the revocation of consent to the processing of personal data may make it impossible to provide legal services to the owner of the personal data.
9. Third-party websites
Serur Advogados may provide links to other sites on the Internet.
Serur Advogados is not responsible in any way for these websites and does not monitor the way in which these websites or content storage tools process personal data.
10. Amendments
Serur Lawyer reserves the right to make changes to this Notice at any time, provided that compliance with the General Law on the Protection of Personal Data is maintained.
11. Contact
Serur Advogados provides the following communication channel with the person in charge of processing personal data:
12. Revisions
This policy is reviewed annually.
This Privacy and Data Protection Notice takes effect on December 29, 2021.