Data Protection Policy - Pinnacle Premium Pediatric Clinics Network

At Pinnacle Premium Pediatric Clinics Network ("Clinics"), operated by Bharath HealthCare Laboratories P LIMITED ("Company"), we are dedicated to safeguarding the privacy and protection of user data. This Data Protection Policy outlines how we collect, process, store, and protect user information.

Section 1: Data Collection

1.1. We collect user data necessary for the provision of our services and to enhance user experience.
1.2. Data is collected with user consent and is limited to the information required for legitimate purposes.

Section 2: Data Processing

2.1. User data is processed lawfully, fairly, and transparently in accordance with applicable data protection laws.
2.2. We process data for specific and legitimate purposes, and users are informed of such purposes.

Section 3: Data Minimization

3.1. We only collect and retain data that is relevant, adequate, and necessary for the specified purposes.
3.2. Data retention periods are defined based on legal requirements and our business needs.

Section 4: Data Accuracy

4.1. We ensure the accuracy and completeness of user data and allow users to update their information.
4.2. Users are encouraged to notify us of any changes to their data to keep it up to date.

Section 5: User Consent

5.1. We obtain user consent for data processing activities, and consent can be withdrawn at any time.
5.2. Users have the right to refuse or withdraw consent without adverse consequences.

Section 6: Data Security

6.1. We implement technical and organizational measures to safeguard user data from unauthorized access, alteration, or disclosure.
6.2. Security measures are continuously monitored, assessed, and improved.

Section 7: Data Sharing and Disclosure

7.1. User data is shared with third parties only when necessary for service delivery or as required by law.
7.2. We enter into data processing agreements with third parties to ensure data protection compliance.

Section 8: Cross-Border Data Transfers

8.1. If we transfer data across international borders, we implement appropriate safeguards in compliance with applicable laws.

Section 9: User Rights

9.1. Users have the right to access, rectify, and erase their personal data.
9.2. We promptly respond to user requests regarding their data rights.

Section 10: Data Breach Management

10.1. In the event of a data breach, we have an incident response plan to mitigate the impact and inform affected users.
10.2. We cooperate with regulatory authorities and take appropriate actions to remedy breaches.

Section 11: Data Protection Impact Assessment (DPIA)

11.1. DPIA is conducted when data processing poses specific risks to user privacy.
11.2. DPIA results are used to implement additional safeguards, if required.

Section 12: Children's Data Protection

12.1. We do not knowingly collect data from children under the age of [age].
12.2. Parental consent is required for data processing related to children.

Section 13: Data Retention

13.1. We retain user data only for as long as necessary to fulfill the purposes for which it was collected.
13.2. Data retention periods are defined based on legal requirements and business needs.

Section 14: Employee Data Protection

14.1. Employee data is processed in accordance with applicable employment and data protection laws.
14.2. Employee data access is limited to authorized personnel only.

Section 15: Data Protection Officer (DPO)

15.1. We appoint a Data Protection Officer responsible for data protection compliance.
15.2. Users can contact the DPO regarding data protection inquiries or concerns.

Section 16: Data Privacy Training

16.1. Our employees undergo data privacy training to ensure adherence to data protection principles.
16.2. Employees are aware of their responsibilities in handling user data securely.

Section 17: User Notification

17.1. We notify users of any updates or changes to this Data Protection Policy.
17.2. Policy changes are communicated through appropriate channels.

Section 18: Privacy by Design

18.1. We incorporate privacy and data protection considerations into the design of our services and systems.
18.2. Data protection is a fundamental aspect of our product development process.

Section 19: Privacy Notice

19.1. We provide users with a privacy notice explaining our data processing practices.
19.2. The privacy notice is easily accessible and transparent.

Section 20: Data Protection Compliance

20.1. We comply with all applicable data protection laws and regulations.
20.2. Our data protection practices are periodically reviewed and updated to ensure ongoing compliance.


*This Data Protection Policy outlines our commitment to protecting user data and privacy. We continuously strive to improve our data protection practices to align with evolving data protection standards and user expectations. For any questions or concerns regarding data protection or privacy, please contact us using the information provided in our Contact Information section.

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Bharath Innovation Labs P LIMITED

CoreTech division of KGV P LIMITED
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