Section 4g of the German Federal Data Protection Act (Bundesdatenschutzgesetz, BDSG) stipulates that the Data Protection Officer is required to make the following details available in an appropriate manner to the public.
1. Name of the data controlling company:
HSG Zander GmbH
Executive Management:
Otto Kajetan Weixler
Jörn Ettenhofer
Dr. (UNC) Eckhart Morré
Dieter Teichmann
Address of the data controlling company:
An der Gehespitz 50
63263 Neu-Isenburg
2. Head of Data Processing:
Thomas Thürck
3. Purpose and objective of data collection, processing or use:
Object of the company:
Execution of maintenance and repair of buildings, streets, airports, sports facilities and hospitals.
Operation and maintenance of all kinds of technical building installations and industrial plants, energy generation plants, waste water treatment and sewage plants.
Maintenance and repair of all kinds of technical equipment and medical technology equipment and plants.
Execution of mechanical services, reception services, cleaning and waste disposal.
Operation of supply systems.
Consulting, and design relating to technical maintenance of all kind.
Preparation, design, coordination and monitoring of the execution of construction work of all kinds in Germany and abroad, including the design and research work related to it, economic, sociological and feasibility studies.
Soil examinations and execution of construction work.
Execution and arrangement of haulage services in Germany and abroad.
Execution of events and measures for further education and training of persons.
4. Description of the groups of data subjects and the respective data or data categories:
Customer data, employee data and data of suppliers, if they are necessary for the purposes stated under No. 3.
5. Recipients or categories of recipients to whom data may be disclosed:
Public authorities in compliance with statutory requirements, external service providers pursuant section 11 BDSG and external bodies and internal HSG Zander departments in order to fulfil the purpose and objective stated under No. 3.
6. Standard periods for deletion:
Upon expiry of these periods, the respective data is deleted as a matter of routine. Where data is not affected, it will be deleted once the purpose and objective specified under No. 4 have ceased to exist.
7. Planned data transfer to third states:
There are no plans for transfer to third states.