Register commentary
Register commentary according to the Personal Data Act (523/1999) 10§ and 24§.
The Registrar
Oy Lapetek Ab (Company reg. code: FI04888406)
Hermannin Rantatie 2b B9
00580 Helsinki
Contact person handling registry matters
Peter Hallila
Tel +358 9 2511 030
Email peter.hallila@lapetekgroup.fi
Registry name
Lapetekin Customer Registry
Basis for maintaining register
An individual has registered as a Lapetek customer, purchased goods from Lapetek online stores, or joined the marketing list.
Purpose of the register
The purpose of the registry is to maintain Lapetek's customer registry, archive, and process customer orders, and manage customer relationships. The registry is also used for tracking lost packages.
Information may be used for improving Lapetek's operations, statistical purposes, and producing more personalized content on our online services. Personal information is processed within the limits and requirements set by the personal data law. Registry information may be used in Lapetek's own records for targeted advertising without disclosing personal information to external parties.
Lapetek may use partners to maintain customer and service relationships. Some registry information may be transferred to the partner's servers due to technical requirements. Information is processed only for the maintenance of Lapetek's customer relationship through technical interfaces. Lapetek has the right to publish the information contained in the customer registry electronically or in writing unless the customer specifically prohibits it. The term "list" refers, for example, to mailing labels for direct advertising. The customer has the right to prohibit the publication of information by notifying Lapetek's customer service through this link.
Information Contained in the Registry
- First and last name of the person
- Email address
- Mailing address
- Phone number
- Information about processed orders
- Tracking information for the transport of goods
Disclosure of Information
Customer registry information is only used by Lapetek, except when Lapetek uses an external service provider either for the provision of value-added services or to support credit decisions. However, information is not disclosed to entities outside Lapetek or its partners for their own use, except in matters related to credit applications, debt collection, or invoicing, and as required by legislation. Personal data is not transferred outside the European Union unless necessary to ensure the technical implementation of Lapetek or its partner.
Personal data transferred outside the European Economic Area is protected based on the standard contractual clauses (SCC) according to GDPR.
The registered individual's data will be deleted upon the user's request, unless legislation, outstanding invoices, or debt collection procedures prevent data deletion.
Registry Protection
The registry is not disclosed to third parties. Access to the registry requires user rights within Lapetek's internal network. The registry is located on Lapetek's password-protected server.