Record of activities carried out by SAMU
Work with us
a) Legal grounds | GDPR: 6.1.a) the data subject has given their consent to the processing of their data for one or more specific purposes.
GDPR: 6.1.b) processing required to execute a contract to which the data subject is a party or to apply pre-contractual measures at the request of the latter. General Data Protection Regulation |
b) Purposes of the processing | Registration in SAMU’s job exchange.
Sending of institutional information // promotional information // commercial information // job offers. Management of collaborative agreements. |
c) Collective | Persons assigning their data in order to register with SAMU’s job exchange. |
d) Data categories | Name in full, National Identity Document/Tax ID/Identity Document, address, telephone, email.
Professional data, professional category and other education/training data. Experience. CV. |
e) Recipient category | All data categories will be stored in the SAMU file for the established period of time.
Personal data of applicants who join the company will be notified to the agency, Social Security, Tax Authorities, banks and all entities that must be notified in accordance with the law. |
f) Int. Transfers | No international data transfers are envisaged. |
g) Deletion time | The personal data of applicants will be maintained in the system indefinitely until the data subject requests their deletion.
If the applicant joins the organisation, the data will be removed from this file and be transferred to the human resources file. |
h) Security measures | The security measures implemented correspond to those set out in Annexe II (Security Measures) of Royal Decree 3/2010 of 8 January, regulating the National Security Framework in the area of E-Government, which are described in the documents comprising the data protection and information security policy of SAMU. |
i) Data Controller | Servicio de Asistencia Médica de Urgencias, S.A. (SAMU) |
SAMU Passport
a) Legal grounds | GDPR: 6.1.b) processing required to execute a contract to which the data subject is a party or to apply pre-contractual measures at the request of the latter.
General Data Protection Regulation |
b) Purposes of the processing | Registration in SAMU’s job exchange.
Sending of institutional // promotional // commercial // employment information. Management of collaborative agreements. |
c) Collective | Employees of SAMU who enter their data in SAMU’s job exchange for promotion purposes. |
d) Data categories | Contact data: name in full, National Identity Document/Tax ID/Identity Document, address, telephone, email.
Professional data: professional category and other training/education data, date on which they joined SAMU, position they hold in SAMU. |
e) Recipient category | All data categories will be stored in the SAMU website for as long as the employment relationship lasts. |
f) Int. Transfers | No international data transfers are envisaged. |
g) Deletion time | The personal data of applicants will be stored in the system indefinitely until the data subject requests their deletion, or until the employment relationship is terminated. Once terminated, the data will be stored for the time established by law. |
i) Medidas de seguridad | The security measures implemented correspond to those set out in Annexe II (Security Measures) of Royal Decree 3/2010 of 8 January, regulating the National Security Framework in the area of E-Government, which are described in the documents comprising the data protection and information security policy of SAMU. |
j) Data Controller | Servicio de Asistencia Médica de Urgencias, S.A. (SAMU) |
Purchase of courses
a) Legal grounds | GDPR: 6.1.a) the data subject has given their consent to the processing of their data for one or more specific purposes.
GDPR: 6.1.b) processing required to execute a contract to which the data subject is a party or to apply pre-contractual measures at the request of the latter. General Data Protection Regulation |
b) Purposes of the processing | Registration for online courses.
Sending of institutional // promotional // commercial // employment information. |
c) Collective | Persons accessing our website who are interested in the courses we offer on it. |
d) Data categories | Contact data: name in full, National Identity Document/Tax ID/Identity Document, address, telephone, email.
Company data. Bank data: credit card and bank account. |
e) Recipient category | All data categories will be stored in a file.
The personal data of students will be communicated to the Tax Authorities, banks, interested Public Authorities and any entity required to know them by law. |
f) Int. Transfers | No international data transfers are envisaged. |
g) Deletion time | The personal data of applicants will be maintained in the system indefinitely until the data subject requests their deletion. |
i) Security measures | The security measures implemented correspond to those set out in Annexe II (Security Measures) of Royal Decree 3/2010 of 8 January, regulating the National Security Framework in the area of E-Government, which are described in the documents comprising the data protection and information security policy of SAMU. |
j) Data Controller | Servicio de Asistencia Médica de Urgencias, S.A. (SAMU) |
Requests for course information
a) Legal grounds | GDPR: 6.1.a) the data subject has given their consent to the processing of their data for one or more specific purposes.
GDPR: 6.1.b) processing required to execute a contract to which the data subject is a party or to apply pre-contractual measures at the request of the latter. General Data Protection Regulation. |
b) Purposes of the processing | Information about SAMU School courses.
Sending of institutional information // promotional information // commercial information // job offers. Management of collaborative agreements. |
c) Collective | Employees of SAMU who enter their data in SAMU’s job exchange for promotion purposes. |
d) Data categories | Contact data: name in full, telephone, email.
Professional data: professional category. |
e) Recipient category | All data categories must be stored in a file for the established period of time. |
f) Int. Transfers | No international data transfers are envisaged. |
g) Deletion time | The personal data of applicants will be stored in the system indefinitely until the data subject requests their deletion, or until the employment relationship is terminated. Once terminated, the data will be stored for the time established by law. |
i) Security measures | The security measures implemented correspond to those set out in Annexe II (Security Measures) of Royal Decree 3/2010 of 8 January, regulating the National Security Framework in the area of E-Government, which are described in the documents comprising the data protection and information security policy of SAMU. |
j) Data Controller | Servicio de Asistencia Médica de Urgencias, S.A. (SAMU) |
Pre-registration for courses
a) Legal grounds | GDPR: 6.1.a) the data subject has given their consent to the processing of their data for one or more specific purposes.
GDPR: 6.1.b) processing required to execute a contract to which the data subject is a party or to apply pre-contractual measures at the request of the latter. General Data Protection Regulation |
b) Purposes of the processing | Pre-registration for on-site courses.
Sending of institutional information // promotional information // commercial information // job offers. |
c) Collective | Persons accessing our website who are interested in the on-site courses we offer at the SAMU School. |
d) Data categories | Contact data: name in full, National Identity Document/Tax ID/Identity Document, address, telephone, email.
Company data. |
e) Recipient category | All data categories will be stored in the SAMU file for the established period of time.
Pre-registered persons who are registered will be treated as students and their data will be processed in the same way as those described in Purchases. |
f) Int. Transfers | No international data transfers are envisaged. |
g) Deletion time | The personal data of applicants will be maintained in the system indefinitely until the data subject requests their deletion. |
i) Security measures | The security measures implemented correspond to those set out in Annexe II (Security Measures) of Royal Decree 3/2010 of 8 January, regulating the National Security Framework in the area of E-Government, which are described in the documents comprising the data protection and information security policy of SAMU. |
j) Data Controller | Servicio de Asistencia Médica de Urgencias, S.A. (SAMU) |
Congresses
a) Legal grounds | GDPR: 6.1.a) the data subject has given their consent to the processing of their data for one or more specific purposes.
GDPR: 6.1.b) processing required to execute a contract to which the data subject is a party or to apply pre-contractual measures at the request of the latter. General Data Protection Regulation. |
b) Purposes of the processing | Registration for congresses.
Sending of institutional information // promotional information // commercial information // job offers. |
c) Collective | Persons accessing our website who are interested in attending congresses organised by SAMU. |
d) Data categories | Contact data: name in full, National Identity Document/Tax ID/Identity Document, address, telephone, email.
Bank data: bank account, credit card. |
e) Recipient category | All data categories will be stored in a file name XXXXX.
Personal data of data subjects will be communicated to the Tax Authorities, banks, interested Public Authorities and any other entity required to know them by law. |
f) Int. Transfers | No international data transfers are envisaged. |
g) Deletion time | The personal data of applicants will be maintained in the system indefinitely until the data subject requests their deletion. |
i) Security measures | The security measures implemented correspond to those set out in Annexe II (Security Measures) of Royal Decree 3/2010 of 8 January, regulating the National Security Framework in the area of E-Government, which are described in the documents comprising the data protection and information security policy of SAMU. |
j) Data Controller | Servicio de Asistencia Médica de Urgencias, S.A. (SAMU) |
Appointment requests
a) Legal grounds | GDPR: 6.1.a) the data subject has given their consent to the processing of their data for one or more specific purposes.
GDPR: 6.1.b) processing required to execute a contract to which the data subject is a party or to apply pre-contractual measures at the request of the latter. General Data Protection Regulation. |
b) Purposes of the processing | Appointment requests. |
c) Collective | Persons who require any of the treatments offered by SAMU WELLNESS |
d) Data categories | Contact data: name in full, email.
Reason for the appointment. |
e) Recipient category | All data categories will be stored in the SAMU file for the established period of time. |
f) Int. Transfers | No international data transfers are envisaged. |
g) Deletion time | The personal data of applicants will be maintained in the system indefinitely until the data subject requests their deletion. |
i) Security measures | The security measures implemented correspond to those set out in Annexe II (Security Measures) of Royal Decree 3/2010 of 8 January, regulating the National Security Framework in the area of E-Government, which are described in the documents comprising the data protection and information security policy of SAMU. |
j) Data Controller | Servicio de Asistencia Médica de Urgencias, S.A. (SAMU) |