PRIVACY POLICY
Shukura RESORT / Silicon GREEN Inc. company.
Silicon GREEN Inc. (the “Company”) values great importance to the protection of the personal data of customers, business partners, employees, officers, and persons from whom the Company collects personal data (collectively referred to as the “Data Subject”) and, essentially, gives close and thoughtful attention on emphasizing the significance on safeguarding personal data. With this objective in mind, we have arranged this Privacy Policy to sustain our commitment to the agenda according to the Personal Data Protection laws.
Definitions
“Company” means any company under Silicon GREEN Inc. Group of companies.
“Person” means Natural person.
“Personal Data” means any information that relates to an identified or identifiable living individual.
“Data Controller” means A person, company, or other body that determines the purpose and means of personal data processing (collection, retention, implementation, or disclosure)
“Data Processor” means a person, company, or other body that processes personal data on the data controller’s behalf.
1. Persons that the Company collects personal information from
1.1 Customer means any person who purchases the product(s) and/or receives service(s) from the Company including those whose personal information appears in documents relating to or representing a juristic person in connection with any transaction made with the Company.
1.2 Business Partner means any person who will sell or sell a product(s) and/or provide service(s) to the Company including those whose personal information appears in documents relating to or representing a juristic person in connection with any transaction made with Company.
1.3 Employee(s) means directors, personnel, staff, interns, or workforce who perform duties under the Company's policies or requirements.
1.4 Other persons whom the Company collects their data from, such as those related to the Company's business operations or assets, visitors to or users of the Company's website, job applicants, family members of employees, guarantors, beneficiaries of insurance policies, including guests and visitors who enter Company's area where it is necessary to collect personal data for security, etc.
2. Collection, Retention, Implementation or Disclosure of Personal Data
Company shall collect, retain, implement, and disclose personal data under and within lawful objectives and scopes, and in legitimate manners, solely to the extent necessary within proportion of the purpose(s) for which Data Subject has given consent to Company. In any event that the Company wishes to collect, retain, implement, or disclose additional Personal Data or to change the purpose(s) for collecting, retaining, implementing, and disclosing, the Company shall notify Data Subject before processing such Personal Data, except where it is required or permitted by law.
Consent for the collection, retention, implementation, and disclosure of Personal Data from Data Subject is not a requirement of accessing the Company's services or communication channels. Assuming that any service, performance, or contractual obligation requires the Company to process Personal Data which Data Subject does not give or later revoke its consent, such may cause limitation on services or communication channels, or cause restraint to the Company from fulfilling its contractual obligations.
Company may collect, retain, implement, and disclose Personal Data without consent of Data Subject in the following case:
(1) To achieve objectives related to the preparation of historical documents or archives for the public interest, or related to research studies or statistics that have provided appropriate safeguard measures to protect the rights and freedoms of Data Subject as prescribed by the Personal Data Protection Committee.
(2) To prevent or suppress danger to the life, physique, or well-being of any person.
(3) To comply with obligations under any contract, to which Data Subject is a party, or to fulfill Data Subject's request before entering into such contract.
(4) To perform its duties in carrying out the Company’s mission in respect of public interest or perform the duties under jurisdiction designated to the Data Controller.
(5) For the necessary legitimate interest of the Company or of other person or entity, except otherwise it is deemed less significant than the fundamental rights of the Data Subject.
(6) To comply with the relevant law.
3. Data Collection
Collection of Personal Data can be processed by requesting or inquiring directly from the Data Subject, other sources, or other relevant authorities. The Company collects the following Personal Data:
3.1 General Personal Data
(1) Personally Identifiable Information
(2) Contact Information
(3) Financial Information
(4) Communication Information with Company
(5) Closed-circuit Camera (CCTV) recording
(6) Biological information such as facial recognition and fingerprint
(7) Vehicle
3.2 Sensitive Data
Sensitive Data includes personal information about race, ethnicity, political opinion, beliefs in cult, religion or philosophy, sexual behavior, criminal records, health and disability information, trade union information, genetic data, biological data, or any other information that similarly affects Data Subject as prescribed by Personal Data Protection Committee.
If the Company collects sensitive personal data, the Company will expressively obtain prior consent from the Data Subject, unless the Personal Data Protection Act B.E. 2562 or other laws stipulate otherwise.
In general, the Company does not have any intention to collect, compile, and use information regarding religion and blood type displayed on identification cards. Consequently, supposing that the Data Subject hgiveniva en copy of the identification card to the Company, it is suggested to conceal such information. Otherwise, it shall be deemed that the Data Subject has authorized the Company to conceal such information. However, if such information cannot be concealed due to certain restrictions, the Company will collect and use a portion of the same for a specific purpose.
4. Duration for collecting and using Personal Data
Company will collect and use Personal Data only for a duration necessary for fulfilling purposes which Data Subject has been informed or as required by law.
5. Disclosure of Personal Data
Company may disclose Personal Data to its affiliates, and/or private sectors to comply with the law and/or for the purposes for which Data Subject has given consent.
6. Rights of Data Subject The Data Subject is entitled to the following rights:
6.1 Right to withdraw consent for collection, retention, implementation, and disclosure of Personal Data
6.2 Right to request access or obtain a copy of Personal Data, or to demand Company to declare the acquisition of Personal Data which consent has not been given by Data Subject.
6.3 Right to obtain, send, or transfer Personal Data that has been provided to Company to other Data Controller.
6.4 Right to object to collection, retention, implementation, or disclosure of Personal Data
6.5 Right to request for deletion or destruction or rendering into unidentifiable data.
6.6 Right to request the Company to suspend the use of Personal Data.
6.7 Right to request for the processing of Personal Data to be accurate, current, complete, and to not cause misunderstandings. If the Company does not follow the request of the Data Subject, the Company shall document such request with a description for assessment in due course.
6.8 Right to file a complaint concerning violations of the Personal Data Protection Act.
Under regulations stipulated by the Personal Data Protection Act, if the Data Subject wishes to exercise the above rights, please contact the Data Protection Officer of TCC Private Company Group, as specified in Clause
7. Security Measures
The company has established a superior safeguarding system to protect Personal Data from any unauthorized access, alteration, and destruction. To collect, retain, implement, and/or disclose Personal Data, whether in whole or in part, the Company undertakes to proceed by competent rights and obligations under the Personal Data Protection Act.
8. Authorized Personnel
The company permits access to Personal Data specifically to authorized personnel or assigned individuals who have roles and responsibilities related to the purposes of implementing Personal Data or to comply with the law. Company shall strictly supervise that only authorized personnel of the Company or individuals assigned by the Company may have access to Personal Data.
9. Privacy Policy Updates
The company reserves the right to update this Privacy Policy from time to time to comply with relevant guidelines, laws, and regulations. An updated Privacy Policy shall be announced or published on the Company’s website or other communication channels.
10. Governing Law
This Privacy Policy is governed by the law of Guyana. The courts of Guyana have jurisdiction to settle any dispute arising out of or in connection with this Privacy Policy.
11. Contact
:
Silicon GREEN Inc.
Data Protection Officer
Address: 163 Yarowakabra Soesdyke-Linden highway, Demerara-Mahaica, Guyana
Telephone: (592)645-4814
E-mail: frankiefarley@gmail.com