Last Updated: September 1, 2021
This policy applies to all Personal Data that is processed for World Famous Customers and Clients.
World Famous values the privacy rights of our employees, customers, partners, suppliers, vendors and others. As required by World Famous, World Famous Customers and Clients (Data Subjects) are permitted to make certain requests of us relating to how World Famous processes personal data. This policy outlines the requirements for making such requests and World Famous’ corresponding obligations.
World Famous provides data subjects certain access rights with respect to their Personal Data. Those rights are summarized below:
A. Basic Information – the right to understand who World Famous is and how we process a subject’s data.
B. Access – the right to request a summary of the data subject’s Personal Data that is processed by World Famous, along with a copy of such personal data.
C. Portability – the right to request we provide a copy of a data subject’s Personal Data in machine readable form for transportation to another controller/processor.
D. Rectification – the right to request that we correct errors or update a data subject’s Personal Data.
E. Erasure – the right to request that we erase Personal Data in our possession.
F. Restriction on Use – the right to request that we stop processing a data subject’s Personal Data.
G. Objection to Use – the right to object to our assertion that we have a legitimate interest in processing a data subject’s Personal Data.
World Famous will conduct periodic tests to ensure that we are supporting Data Subject Rights appropriately.
When a Data Subject that is a World Famous Customer or Client seeks to exercise their rights in respect to Personal Data they can email email@example.com. World Famous will assist work through appropriate technical and organizational measures, insofar as possible to fulfill our obligations.
Upon receipt of a request by a Data Subject, World Famous is required to notify World Famous' SSPA program leader prior to taking any action.
The World Famous SSPA program leader will coordinate with the Microsoft SSPA team and assist Microsoft, through the appropriate technical and organizational measures, insofar as possible, to fulfill its obligations to respond to requests for Data Subjects seeking to exercise their Data Subject rights.
All Data Subjects' requests concerning Data Subjects' Rights will need to be responded to without undue delay. The World Famous' SSPA program team is tasked with monitoring and tracking of all Data Subject Rights requests, including date and time of request, response times, follow up actions, and a record of when Microsoft was informed.
A Data Subject must be thoroughly vetted and qualified prior to the sharing of any Personal Data in order to:
Whereas at Microsoft's direction, the Personal Data request is accepted, World Famous shall provide the Microsoft Personal Data to the Date Subject in an appropriate format.
In no instance will World Famous disclose or share any Microsoft Personal Data that is unrelated to the Data Subject requesting their Personal Data.
Any Data Protection complaints will be forwarded to the DPO who will address the matter with the Data Subject directly and will forward along any matters that were not able to be resolved to World Famous.