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Processing of personal data outside of the territory of Bulgaria

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As a rule, Yettel strives not to send personal data processed under this Privacy Policy outside the territory of the European Union (EU) and the European Economic Area (EEA).

In some cases, however, certain data may be required to be sent to non-EU/EEA natural persons (e.g. to provide a Yettel information system support service that cannot be performed without access to personal data), subject to the requirements of the applicable law and this Privacy Policy.

If personal data of a corporate client (physical person), representative, and/or contact person thereof, is required to be sent by Yettel to a non-EU or EEA State, this will be done in accordance with this Privacy Policy and upon the existence of any of the following conditions:
Where there is a European Commission decision to the effect that the country concerned provides an adequate level of data protection;
When an agreement is made with the organization to which personal data is sent, with such agreement containing the standard data protection clauses approved by the European Commission with Decision No. 2010/87/EU (more information can be found on the following page of the Personal Data Protection Commission: www.cpdp.bg);
When the transfer of data is required to fulfill a commitment to the relevant corporate client, representative or contact person;
When data must be transferred to a US organization, such transfer shall be to the extent that the organization is a participant in the Privacy Shield adopted by the European Commission on 26 July 2016 (more information can be found on the following page: ec.europa.eu).

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