Holiday Inn Vana Nava Hua Hin Customer’s Privacy Policy
(Holiday Inn Vana Nava Hua Hin Privacy Policy)
[Latest updated: 4 May 2023]
Abstract
Vana Nava Co., Ltd. (“Holiday Inn Vana Nava Hua Hin”, “we”, “us” and “our”) processes personal data of Customer (collectively referred to as “Customer”, “you” and “your”) with the reasonable measures to act in compliance with the Thailand’s Personal Data Protection Act B.E. 2562 (“PDPA”). You may find the full version of Holiday Inn Customer’s Privacy Policy (“Privacy Policy”) through the attached QR code; however, the summary of the Privacy Policy is shown below.
Topic |
Overview |
What data do we process? |
We process collected personal data including, but not limited to, identity data, address / contact data, profile data, transactional data, health data, employment data, property data, financial data, IT data and supporting documents. |
How do we use those data? |
We process personal data according to the purposes and scope of us, and with the legal bases as explained in our Privacy Policy. |
Who do we transfer information to? |
In some circumstances, we may be required to disclose and/or transfer your personal data to third - party organisations, which are clarified in our vendors/partners list. |
What are your rights as a data subject? |
As a data subject, you are entitled to the data subject rights which include, but not limited to, right of access, right to rectification and right to erasure. |
Revision of the policy |
Any revision made will be notified to all related parties under this Privacy Policy. |
Privacy Policy
1. Purposes and Scope of the Privacy Policy
This Privacy Policy applies to all Customer of us. In this regard, we mainly act as the data controller under the PDPA. Therefore, we are committed to collect and process
Customer’s personal data in accordance with the purposes and scope of us as specified herein this Privacy Policy.
Data Controller Contact Information Holiday Inn Vana Nava Hua Hin 129/129 Petchkasem Road, Nong Kae Subdistrict, Hua Hin District, Prachuap Khiri Khan Province 77110 Tel.: +66 32 809 999 Email: hihh.info@ihg.com |
Data Protection Officer (DPO) Contact Information Holiday Inn Vana Nava Hua Hin 129/129 Petchkasem Road, Nong Kae Subdistrict, Hua Hin District, Prachuap Khiri Khan Province 77110 Tel.: +66 32 809 999 Email: hihh.info@ihg.com |
This Privacy Policy covers data subjects who are our customer, including website visitors, application service users, participants, visitors (outsider)
As used in this Privacy Policy, the following terms shall have the meanings set forth below:
“process” means anything done with Customer’s personal data, including collection, storage, use, disclosure and deletion of personal data.
“legal bases” means justifiable reasons to process personal data in accordance with
Article 24 and Article 26 of the PDPA.
This Privacy Policy may be revised at any given time as notified to Customer through appropriate channel
2. Personal Data We Collect
We collect the following categories of Customer’s personal data;
3. How We Collect Your Personal Data
In general, we will directly collect Customer’s personal data through these processes
(or channels) including, but not limited to;
However, we may collect additional personal data through third-party organisations which include;
4. How We Process Your Personal Data
We process Customer’s personal data to carry out tasks per our scope and purposes of providing groups of activities.
Group of Activities |
Group of PIIs |
Legal Bases |
|
Procurement Process |
· Identity data · Address / contract data · Employment data |
· Contract |
|
Internet and System Logging ] |
· Identity data · Address / contract data · Employment data · Transactional data · IT data |
· Legal obligation · Legitimate Interest |
|
Organizing public relations activities and promoting |
· Identity data · Address / contract data · Employment data · IT data |
· Contract · Consent · Legitimate Interest |
|
Conducting Internal report |
· Identity data · Address / contract data · Employment data · Transactional data · Employment data · Profile data · Health data · Property data |
· Contract · Legal obligation · Legitimate Interest · Consent |
|
Drafting or approving documents/contract |
· Identity data · Address / contract data · Profile data · Financial data · Employment data · Transactional data · Supporting documents |
· Contract |
|
Legal documentation and business license |
· Identity data · Address / contract data · Profile data · Supporting documents · Employment data · Transactional data |
· Legal obligation |
|
Tax operation |
· Identity data · Address / contract data · Employment data · Transactional data · Financial data · Employment data · Supporting documents |
· Legal obligation
|
|
Area Security Management |
· Identity data · Address / contract data · Property data · Profile data · Employment data · Health data · Transactional data · Supporting documents · IT data |
· Legal obligation · Contract · Legitimate Interest · Consent |
|
Conducting marketing |
· Identity data · Address / contract data · Employment data · Transactional data · IT data |
· Legitimate Interest · Consent |
|
Drafting quotations and contracts for customers |
· Identity data · Address / contract data · Financial data · Profile data · Transactional data |
· Contract |
|
Conducting Internal Audit |
· Identity data · Address / contract data · Financial data · Supporting documents · Employment data · Profile data · Property data |
· Legal obligation · Legitimate Interest
|
|
Hotel property management |
· Identity data · Address / contract data · Employment data |
· Contract |
|
Managing IT System |
· Identity data · Employment data · Transactional data |
· Legitimate Interest |
|
Customer experiential management |
· Identity data · Address / contract data · Employment data · Transactional data |
· Contract · Legitimate Interest · |
|
Cooperation and complaints handling process |
· Identity data · Transactional data · Profile data · Address / contract data · Health data · Financial data · Employment data |
· Legitimate Interest · Contract · Consent |
|
Service payment or refund |
· Identity data · Address / contract data · Financial data · Supporting documents · Profile data · IT data · Employment data · Transactional data |
· Contract |
|
Providing fitness center and kid's club service |
· Identity data · Address / contract data · Profile data · Transactional data · Health data |
· Contract |
|
Providing spa service |
· Identity data · Address / contract data · Transactional data · Profile data · Health data |
· Contract · Legal Obligation
|
|
Providing hotel accommodation service |
· Identity data · Address / contract data · Financial data · Supporting documents · Profile data · Health data · Employment data · Transactional data |
· Contract · Legal Obligation · Consent |
|
Providing food service |
· Identity data · Health data · Transactional data · Address / contract data |
· Contract · Legitimate Interest · Consent |
|
Member accounts management |
· Identity data · Address / contract data · Profile data · Transactional data |
· Contract · Legitimate Interest
|
|
We will process Customer’s personal data according to the stated purposes and scope. If there came upon a case where Customer’s personal data were to be processed for other purposes, and it is unlikely to rely on other legal bases, we would ask for new consent to process Customer’s personal data on such uses.
5. Usage of Personal Data with Third-Party Organisations
We may be required to disclose and/or transfer Customer’s personal data to third-party organisations, in order for such organisations to process personal data in accordance with agreements with us and/or legal obligations. These organisations may include;
For the cases where personal data are being disclosed and/or transferred to third-party organisations, we will ensure that the minimum amount of personal data are being disclosed and/or transferred, and may consider anonymization and psuedonnymisation techniques for greater security. Further, the third-party organisations who will process Customer’s personal data for us will be required to have in place appropriate privacy policy. We do not permit these third-party organisations to use Customer’s personal data in a way that diverge from the agreed scope and purposes.
6. Transferring of Personal Data to Foreign Countries
According to the scope and purposes specified herein this Privacy Policy, we are currently not required to pass on personal data to foreign countries.
In this regard, we will pass on Customer’s personal data only when any of these requirements has been met. The requirements include;
7. Security Measures for Personal Data Protection
We have implemented certain security measures to ensure the security of Customer’s personal data. In this connection, third-party organisations are required to carry out the processing of personal data in accordance with our security policy, and to ensure the security of Customer’s personal data.
8. Time Period of Personal Data Storage
We will store Customer’s personal data throughout appropriate period according to our scope and purposes, including other important matters such as legal requirements, accounting and auditing purposes.
9. Customer’s Personal Data Rights
Your personal data rights include:
In the cases where we may not be able to carry out and support exercise of your rights, including, but not limited to, the cases where a legal process is taking place, you will continue to have the right to retract your consent by emailing all related parties, we will therefore be required to terminate all processes as soon as possible. However, the retraction only applies to the data processing carried out thereafter. Any data processing activity carried out before the retraction will not be reversed.
Please be informed that we do record all requests to ensure all issues are resolved. For any queries regarding your personal data protection and rights, more details are available at: TDPG3.0-C5-20201224-1.pdf (chula.ac.th)
In the case where you have the intention to exercise your personal data protection rights, or to file complaint against your personal data processing, please contact our DPO
(contact details have been provided above). we will process this request in a secure and timely manner. Also, in case that we fail to preserve your rights under the PDPA, you can file complaint to the Office of the Personal Data Protection Commission (“PDPC”).
10. Policy Revision
This Privacy Policy applies to all our Customer and was last updated on [•]. We hold the rights to review and edit this Privacy Policy as we see fit. Any revision made will be notified to all related parties under this Privacy Policy.
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