Like most website operators, Agiltima collects non-personally-identifying information of the sort that web browsers and servers typically make available, such as the browser type, language preference, referring site, and the date and time of each visitor request. Agiltima’s purpose in collecting non-personally identifying information is to better understand how Agiltima’s visitors use its website. From time to time, Agiltima may release non-personally-identifying information in the aggregate, e.g., by publishing a report on trends in the usage of its website.
Agiltima also collects potentially personally-identifying information like Internet Protocol (IP) addresses for logged in users and for users leaving comments on https://www.agiltima.com blog posts. Agiltima only discloses logged in user and commenter IP addresses under the same circumstances that it uses and discloses personally-identifying information as described below.
Gathering of Personally-Identifying Information
Certain visitors to Agiltima’s websites choose to interact with Agiltima in ways that require Agiltima to gather personally-identifying information. The amount and type of information that Agiltima gathers depends on the nature of the interaction. For example, we ask visitors who fill in our contact form at www.agiltima.com to provide their full name and email address so that we may contact them regarding our services.
The security of your Personal Information is important to us but remember that no method of transmission over the Internet, or method of electronic storage is 100% secure. While we strive to use commercially acceptable means to protect your Personal Information, we cannot guarantee its absolute security.
The use of third-party data for developing (processing activity) Agiltima’s business relies on Legitimate Interest. This assessment establishes whether Agiltima’s lawful basis is indeed Legitimate Interests. The activity is designed to help more companies create, and/or conduct their business within, a safer cyber environment. This LIA process is entirely based on ICO guidance and its recommended template. It also relies on previously accepted GDPR recitals.
To meet the ICO’s expectations, we have:
- Identified the legitimate interest, the benefits of the processing, and whether it is necessary.
- Included a ‘balancing test’ to show how Agiltima determines that its legitimate interests override the individuals’ and considers the following issues:
- Not using people’s data in intrusive ways or in ways which could cause harm.
- Protecting the interests of vulnerable groups such as people with learning disabilities or children.
- Whether we need to introduce safeguards to reduce any potentially negative impact.
- Whether we can offer an opt-out.
- Clearly documented the decision and the assessment.
- Ensured that the LIA is regularly reviewed and refreshed if changes affect the outcome.
Links To External Sites
We have no control over, and assume no responsibility for the content, privacy policies or practices of any third-party sites, products, or services.
Agiltima may collect statistics about the behaviour of visitors to its website. Agiltima may display this information publicly or provide it to others. However, Agiltima does not disclose your personally identifying information.
To enrich and perfect your online experience, Agiltima uses “Cookies”, similar technologies and services provided by others to display personalised content, appropriate advertising, and store your preferences on your computer.
The Managing Director is the Data Protection Officer and can be contacted via the details below.