Privacy policy | Camp Bijar

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Kalendar
OR
JADRANKA TURIZAM d.o.o., having its registered office in Mali Lošinj, Dražica 1, PIN: 25295166877 (“JADRANKA TURIZAM”), respects the privacy of all persons whose personal data it collects. Privacy protection is one of the core principles of our operations. The purpose of this Privacy Policy is to inform you about and explain more specifically the types of personal data JADRANKA TURIZAM collects as a controller and for what purpose, the manner in which we protect personal data, and the rights you have in that regard.
 

CONTENTS

GENERAL SECTION 
  • DATA CONTROLLER AND REGULATORY FRAMEWORK 
  • SCOPE OF APPLICATION 
  • DATA PROTECTION OFFICER 
  • PERSONAL DATA PROTECTION PRINCIPLES 
  • LAWFULNESS OF PERSONAL DATA PROCESSING 
  • TYPES OF PERSONAL DATA PROCESSED
  • TRANSFERRING DATA TO THIRD PARTIES 
  • DATA RETENTION PERIOD
  • DATA SUBJECT RIGHTS 
  • PROTECTION OF PERSONAL DATA OF CHILDREN
  • SOURCES OF PERSONAL DATA 
  • TECHNICAL AND ORGANIZATIONAL DATA PROTECTION MEASURES
  • ACTIONS TAKEN IN THE EVENT OF A PERSONAL DATA BREACH 
SPECIAL SECTION
  • ACCOMMODATION AT OUR FACILITIES (hotels, apartments, camps) 
  • EXCHANGE OFFICES 
  • EXCURSIONS, CONCERTS, TRANSFERS AND OTHER SERVCIES 
  • LOYALTY PROGRAM MEMBERSHIP 
  • CONTEST / SURVEY QUESTIONNAIRE FORM 
  • JOB APPLICANTS AND EMPLOYEES 
  • STAFF SELECTION 
  • EMPLOYMENT RELATIONSHIP AND OTHER COMPARABLE RELATIONSHIPS
  • BUSINESS PARTNERS 
  • RETENTION PERIOD 
  • PUBLIC NOTICES 
  • NEWSLETTERS 
  • VIDEO SURVEILLANCE 
  • WEBSITES, COOKIES AND INTERNET TECHNOLOGIES 
  • FINAL PROVISIONS 

General Section – Basic Information

Controller and Regulatory Framework
In its role as a controller, JADRANKA TURIZAM undertakes to protect your personal data. We collect, process and store your personal data pursuant to the provisions of REGULATION (EU) 2016/679 OF THE EUROPEAN PARLIAMENT AND OF THE COUNCIL of 27 April 2016 on the protection of natural persons with regard to the processing of personal data and on the free movement of such data, and repealing Directive 95/46/EC, i.e. the General Data Protection Regulation – GDPR (“Regulation”), the Act on the Implementation of the General Data Protection Regulation (Official Gazette, 42/2018), and other relevant regulations applicable in the Republic of Croatia. 
Scope of Application
This Policy applies to all circumstances in which JADRANKA TURIZAM processes personal data as a controller, unless defined otherwise for specific processing situations in some other policy or document of JADRANKA TURIZAM. In any case, the core personal data processing principles, the contact details of the Data Protection Officer, and other provisions laid down in the General Section of this Policy apply, without exception, to all circumstances in which we process personal data, regardless of whether such processing is specifically covered by the Special Section of this Policy or not. In the Special Section of this Policy, we describe in more detail certain specific situations in which we process data, which account for the vast majority of the processing activities performed by JADRANKA TURIZAM. 
Data Protection Officer
JADRANKA TURIZAM has appointed a Data Protection Officer (“DPO”). If you have any questions with regard to personal data protection or you wish to exercise any of the rights guaranteed to you under the Regulation, you can contact our DPO by e-mail at the following e-mail address: dpo@jadranka.hr, or by mail at the following postal address: JADRANKA TURIZAM d.o.o., n/p DPO, Dražica 1, 51550 Mali Lošinj, Republika Hrvatska .

All requests delivered to the address of our DPO which do not concern personal data protection, such as job applications, letters of inquiry for reservation of accommodation at our facilities, and similar, will be forwarded directly to the competent business divisions, sectors and/or departments of JADRANKA TURIZAM. In such cases, the DPO will not provide a special answer to the sender. 
Personal Data Protection Principles
JADRANKA TURIZAM regards the principles of data processing as core values that must be adhered to in all stages of personal data processing, i.e. from the time the data are collected until the moment they are destroyed or erased, or until the processing is discontinued for some other reason. JADRANKA TURIZAM processes data:
  • lawfully  – the processing is considered possible if and to the extent it is permitted by law;
  • fairly – taking into account the specific circumstances of each individual relationship, implementing all appropriate safeguards to ensure protection of personal data and privacy in general, and allowing the data subjects to exercise their rights;
  • transparently – data subjects are informed about the processing of their personal data; more precisely, they are informed about all aspects of data processing at the time the data are collected and are ensured a simple and quick access to their data throughout the period during which their data are processed, including the possibility of checking the relevant data and receiving a copy of the same pursuant to the provisions of the Regulation; access to certain information may be restricted, but only if such restriction is prescribed by law or if necessary for the purpose of protecting third parties;
  • ensuring purpose limitation  – personal data are processed only for the purpose for which they have been collected; they may be processed for other purposes as well, but only if the conditions defined in the Regulation are met; more precisely, to process data for other (related) purposes, the following must be considered: (a) any link between the purposes for which the personal data have been collected and the purposes of the intended further processing; (b) the context in which the personal data have been collected, in particular regarding the relationship between the data subjects and JADRANKA TURIZAM; (c) the nature of the personal data, in particular whether special categories of personal data are processed, pursuant to Article 9 of the Regulation, or whether personal data related to criminal convictions and offenses are processed, pursuant to Article 10 of the Regulation; (d) the possible consequences of the intended further processing for data subjects; and (e) the existence of appropriate safeguards;
  • ensuring storage limitation – the data are kept in a form which permits identification of data subjects for no longer than is necessary for the purposes for which the personal data are processed; they may be kept for longer periods, but only if permitted by the Regulatio
  • ensuring data minimization – only such data which are adequate, relevant and limited to what is necessary are processed; in particular, we are very careful not to collect any data in respect of which no justification for processing exists;
  • ensuring accuracy – we take reasonable steps to ensure that the data are accurate and kept up to date, and that all inaccurate data are erased or rectified;
  • ensuring integrity and confidentiality – we ensure appropriate security of the personal data, including protection against unauthorized or unlawful processing and accidental loss, destruction or damage, using appropriate technical or organizational measures; the relevant measures are applied taking into consideration the risks associated with different types of data processing.
Lawfulness of Personal Data Processing
In order to ensure lawfulness of personal data processing, JADRANKA TURIZAM processes personal data only if and to the extent that one of the following applies: 

  • the processing is necessary for the performance of a contract to which the data subject is party or in order to take steps at the request of the data subject prior to entering into a contract; this is the most frequent purpose for which the data concerning data subjects are processed; this type of processing rests on the grounds of an existing or potential contractual relationship;
  • the processing is necessary for compliance with a legal obligation to which the controller is subject; as a legal entity, JADRANKA TURIZAM is subject to a number of obligations prescribed by various regulations; this particular obligation refers primarily to the collection of data, but very often also includes submission of data to state authorities;
  • the processing is necessary for the purposes of the legitimate interests pursued by the controller or by a third party, except where such interests are overridden by the interests or fundamental rights and freedoms of the data subject which require protection of personal data, taking into consideration the reasonable expectations of the data subject based on his or her relationship with the controller, in particular where the data subject is a child; in cases where it relies on this legal basis, JADRANKA TURIZAM assesses whether the processing is appropriate considering the business needs, takes steps to minimize invasiveness as well as makes sure that the interests of the data subject do not override the legitimate interests of JADRANKA TURIZAM or some third party; the purposes for which this type of processing may be performed include, for example, administrative purposes, computer network security protection, direct marketing, operational improvements; data subjects have the right to object to the processing of their data in any of the mentioned circumstances;
  • the processing is necessary in order to protect the vital interests of the data subject or of another natural person; the right to personal data protection is not an absolute right; JADRANKA TURIZAM regards that right as equal to other fundamental rights and applies the principle of proportionality in the determination of the same; JADRANKA TURIZAM accepts the possibility that, in certain situations, it may be necessary to process personal data to protect the vital interests of the data subject or of another natural person;
  • the data subject has consented to the processing of his/her personal data for one or more special purposes; in cases where it processes personal data relying on consent, JADRANKA TURIZAM takes steps to ensure that such cases refer to situations in which the act giving, refusing to give or withdrawing consent does not produce any, formal or informal, consequences; where the processing is based on consent, the data subject has the right to withdraw his/her consent at any time without negative consequences; such withdrawal will not affect the lawfulness of the processing based on consent before its withdrawal.
In exceptional cases, JADRANKA TURIZAM may process certain data it would not ordinarily process, e.g. it may collect information for the purpose of implementing a recommendation issued by the Croatian Institute of Public Health (“HZJZ”) in the event of epidemics and similar situations and/or circumstances. 
Type of Personal Data Processed
Special Categories of Personal Data: JADRANKA TURIZAM will process special categories of personal data only in the circumstances defined in Article 9 of the Regulation. More specifically, we may process certain employee data that belong to special categories of personal data, e.g. trade union membership data (for the purpose of exercising special rights under relevant regulations, for example), information regarding religious or philosophical beliefs (for the purpose of exercising the right to additional non-working days on religious holidays, for example, provided however that the relevant person voluntarily discloses such information for the said purpose), or certain data concerning health (for the purpose of complying with special safety-at-work regulations or maintaining an employee register, for example, or in situations where special health certificates are required for specific jobs, and similar).

Data Concerning Criminal Convictions and Offenses: if and to the extent permitted by law, JADRANKA TURIZAM may also process personal data concerning criminal convictions and offenses, e.g. employee non-conviction certificates.

Personal data that do not belong to either of the two previously mentioned groups: the personal data that do not belong to either of the two previously mentioned groups in fact account for the largest part of the data that we process, including primarily identification and contact details, e.g. first and last name, PIN, and the data created when the data subjects move within the facilities or on the premises under video surveillance.

Most of the personal data collected by JADRANKA TURIZAM are obtained directly from data subjects. We therefore kindly ask that you do not provide any ‘sensitive data’ (e.g. racial or ethnic origin, political opinions, religious or philosophical beliefs, bank/credit/debit card numbers or account numbers, where not requested, and similar), unless provision of such data is necessary. If you intend to provide sensitive data, for any reason, please be advised that by doing so you give your explicit consent to the collection and use of such data in the ways described in this Privacy Statement/Policy, or in the manner described at the time such data are disclosed.

Transferring Data to Third Parties
JADRANKA TURIZAM shares personal data with others only if and to the extent permitted by law.
 
For the purpose of complying with its statutory obligations, JADRANKA TURIZAM transfers certain data to third parties, e.g. it submits guest data into the eVisitor system and send the relevant employee data to the competent institutions, including the Croatian Pension Insurance Institute (“HZMO”), the Croatian Health Insurance Fund (“HZZO”), the Tax Administration, the Central Registry of Affiliates (“REGOS”), and pension companies. There are also situations in which JADRANKA TURIZAM is required to submit or make particular data available for inspection to different institutions and authorities. In that context, we may occasionally submit employment-related data to the Croatian Employment Service, e.g. for the purpose of registering our employees for participation in Active Labor Market Policy measures; to the competent Police Department or the Ministry of Internal Affairs, e.g. if senior state officials stay at our facilities, or if required in connection with the issuance of work permits; to the Ministry of Tourism when offering employment to scholarship recipients; to the Ministry of Economy and Entrepreneurship in connection with the use of investment subsidies; as well as to insurance companies; banks; and others, in situations prescribed by the regulations.

Certain employee data are also transferred to banks and pension funds for the purposes of the payroll process, and certain data may be transferred to creditors in accordance with enforcement regulations. Sometimes we share data in accordance with contractual obligations. For example, when pupils attend practical training at our facilities, we exchange data with the relevant schools and faculties; or when our employees participate in events organized by different schools (e.g. Gastro and similar), we share the relevant employee data with such schools.

Furthermore, we share certain personal data with business entities for the purpose of arranging specific services, e.g. medical examinations for employees (contracted occupational medicine service provider); institutions organizing statutorily required education and training (e.g. Safety at Work, Minimum Hygiene Requirements, Toxicology); organizers of other types of educational activities attended by employees of JADRANKA TURIZAM for registration purposes; hotel and other accommodation facilities where the relevant employees are accommodated while attending such activities; audit companies conducting the statutory audit; notaries public when certification is required; the Financial Agency for the purpose of obtaining business certificates; entities subject to public procurement regulations when responding to public tenders (as a bidder); as well as for the purpose of assigning and using company cards, mobile devices, or purchasing fuel.
  
We may also transfer data to other business entities, who act as data processors, i.e. those that process data in the name of JADRANKA TURIZAM, as the data controller. We are primarily referring to business associates of JADRANKA TURIZAM that provide IT services. They keep the relevant personal data in their databases or have the possibility of accessing them during the period in which they are processed. We enter into written agreements with such entities for the purpose of regulating their authorizations and obligations with regard to the processing of personal data, in accordance with the requirements laid down in the Regulation.

There are certain situations in which external entities determine the purposes and means of processing jointly with JADRANKA TURIZAM. In those situations, such external entities and JADRANKA TURIZAM act as joint controllers. For the purpose of regulating such relationship, joint controllers determine in a transparent manner their respective responsibilities for compliance with the obligations arising from the Regulation, in particular as regards the exercising of data subject rights and their respective duties with regard to ensuring transparency of processing, unless their responsibilities are defined by law.

A specific situation in which JADRANKA TURIZAM transfers data to third parties is when it shares data based on agreements signed with different companies for the purpose of managing its tourism-related operations. This means that, in certain cases, our guests can receive offers containing information about other hotels and facilities managed by JADRANKA TURIZAM. Under the relevant agreements, we have certain rights and obligations with respect to the human resources and employees of other companies operating within the JADRANKA GROUP, i.e. we have the right to process the personal data relating to data subjects of those companies. In all relevant situations in which JADRANKA TURIZAM acts in the role of a controller and/or processor, all the principles laid down in different sections of this Privacy Policy will be applied in connection with the data and data subjects of the relevant companies. However, such companies, being the controllers, are also responsible for the processing of data that concern their data subjects.

Where the processing involves a transfer of personal data to third countries, JADRANKA TURIZAM will ensure that high standards of protection are applied in order to guarantee the highest possible level of personal data protection, in accordance with the rigorous requirements laid down in the Regulation. To be more precise, if it intends to make an international transfer of personal data, JADRANKA TURIZAM will inform the data subject of its intention to transfer his or her personal data to a third country or an international organization as well as of the existence or non-existence of an adequacy decision issued in that regard by the European Commission. Any transfer of personal data to a third country must be performed in accordance with Chapter V of the Regulation.
Data Retention Period
The data relating to data subjects will be processed and stored during the period defined in the relevant statutory regulations if the obligation to store such data is prescribed by law (e.g. the records on the basis of which invoices are issued are kept for 11 years). In situations where JADRANKA TURIZAM is authorized to determine the retention periods in its sole discretion, the data will be stored for as long as necessary depending on the purpose of processing, the legitimate interests of JADRANKA TURIZAM, and the interests of data subjects regarding erasure. 
Data Subject Rights
Regardless of the basis for collecting data, data subjects can exercise the following rights free of charge, within the limits prescribed by the Regulation: 

Right to obtain information: the data subject has the right to obtain information about the processing and the purposes of processing. JADRANKA TURIZAM takes care that the data subject is provided all the information necessary to ensure a fair and transparent processing, taking into account the context of such processing. 

Right to erasure (“right to be forgotten”): the data subject has the right to request from JADRANKA TURIZAM that the personal data concerning him or her be erased without undue delay in accordance with the conditions laid down in the Regulation. To exercise this right, data subjects must send a written request to JADRANKA TURIZAM, the data controller. Requests can also be sent by electronic means. In your request, you should specify exactly which data you want us to erase considering that your data can be kept relying on different legal bases, e.g. a data subject can at the same time be our guest and a job applicant. You can request that the personal data concerning you be erased if one of the following applies:
  • your personal data are no longer necessary in relation to the purposes for which we have collected or otherwise processed them,
  • you have withdrawn your consent on which the processing is based and there is no other legal ground for the processing,
  • you have objected to the processing of your personal data and we have no overriding legitimate grounds for the processing,
  • the personal data have been unlawfully processed,
  • the personal data have to be erased to comply with a legal obligation.
In certain situations it will not be possible to fully execute a request for erasure, e.g. in cases where the controller has a statutory obligation to store data, where the legitimate interests of the controller override those of the data subject, or where the controller has an interest associated with establishing, exercising or defending legal claims.

Right to access data: at the request of the data subject, JADRANKA TURIZAM will confirm whether or not personal data concerning him or her are being processed and, if they are, we will ensure access to the relevant personal data and the purpose(s) of processing, the categories of personal data concerned, the potential recipients to whom the personal data will be disclosed, and other data in accordance with the requirements prescribed by the Regulation. The data subject has the right to receive a copy of the personal data undergoing processing. Access to personal data may be restricted only in cases defined by the law, or where such restriction does not adversely affect the fundamental rights and freedoms of others.

Right to rectification: the data subject has the right to request from JADRANKA TURIZAM that the personal data concerning him or her which are inaccurate be rectified without undue delay. Taking into account the purposes of the processing, the data subject has the right to have incomplete personal data completed. To exercise this right, data subjects must send a written request to JADRANKA TURIZAM, the data controller. Requests can also be sent by electronic means. In your request, you should specify exactly which data are inaccurate, incomplete or out-of-date and in what sense they should be rectified, as well as provide the necessary documents to corroborate your statements.

Right to data portability: the data subject has the right to receive the personal data concerning him or her in a structured, commonly used and machine-readable format in accordance with the requirements laid down in the Regulation.

Right to object to the processing: where JADRANKA TURIZAM processes data based on its legitimate interests which override those of the data subject, the data subject has the right, on grounds relating to his or her particular situation, to object to the processing of personal data concerning him or her.

Right to restriction of processing: the data subject has the right to request from JADRANKA TURIZAM that the processing of their personal data be restricted if he or she contests the accuracy of the personal data; if he or she believes that the processing is unlawful and opposes the erasure of the personal data and requests the restriction of their use instead; or if he or she has objected to the processing, pending the verification whether legitimate grounds of the controller override his or hers.
 
In any case, data subjects may also:

  • file a complaint with the Data Protection Officer (DPO), or
  • lodge a complaint with the supervisory authority (i.e. Personal Data Protection Agency) if they believe that their data protection rights have been violated.
Written requests should be sent to the contact address of our Data Protection Officer: dpo@jadranka.hr, or by mail to our postal address: JADRANKA TURIZAM d.o.o., n/p DPO, Dražica 1, 51550 Mali Lošinj, Republika Hrvatska.

JADRANKA TURIZAM has the right to protect its own interests as the controller and has the obligation to protect the interests of the data subjects. It may therefore perform certain activities for the purpose of verifying the identity of the person submitting the request.

Furthermore, JADRANKA TURIZAM may design a request form to ensure that requests are handled in the most efficient way possible.

At request, JADRANKA TURIZAM will provide information about the actions taken with regard to the exercise of data subject rights without undue delay and, in any case, within 30 (thirty) days from the date of receipt of the request. This period may, if necessary, be extended for additional two months, depending on the complexity and number of requests received. JADRANKA TURIZAM will inform the data subject of such extension within 30 (thirty) days from the date of receipt of the request, along with the reasons for the delay.
If the data subject submits his or her request by electronic means, JADRANKA TURIZAM will, whenever possible, provide its answer in the same manner, unless the data subject requests otherwise.

Actions taken in an effort to honor a data subject request are generally free of charge. However, where requests received from a data subject are manifestly unfounded or excessive, in particular because of their repetitive character, JADRANKA TURIZAM may either charge a reasonable fee taking into account the administrative costs or refuse to act on the request.
Protection of Personal Data of Children
JADRANKA TURIZAM advises parents and guardians, or other relevant legal representatives, to teach children/minors (persons under 18) how to use their personal data safely and responsibly, in particular on the Internet. We will process the personal data which concern children/minors only if we obtain prior consent of their parent/guardian (for example, we may process the personal data relating to scholarship recipients, children who are staying at our facilities as guests, visitors to our Children’s Club, etc.). 
Sources of Personal Data
In most cases, JADRANKA TURIZAM obtains personal data directly from data subjects. When providing personal data to JADRANKA TURIZAM for whatever purpose (making a reservation of accommodation, applying for a job, etc.), you guarantee that the information is accurate, that you are legally capable and authorized to use the relevant information and that you fully agree and accept that we may collect and use your data in accordance with the applicable statutory regulations and the conditions defined in this Privacy Policy. 

In some cases, JADRANKA TURIZAM may obtain personal data from other natural and legal persons as well. More precisely, we may obtain personal data from travel agencies that send us guest details in connection with accommodation; from guests making a reservation for persons who will be staying with them at our accommodation facilities; or from employment intermediation and staffing agencies. When providing personal data which concern other persons to JADRANKA TURIZAM, you guarantee that the information is accurate, that you are legally capable and authorized to use the relevant information and that the data subjects whose personal data you are providing fully agree and accept that we may collect and use their data in accordance with the applicable statutory regulations and the conditions defined in this Privacy Policy.
Technical and Organizational Data Protection Measures
JADRANKA TURIZAM, as the controller, takes care that the highest technical and organizational data protection standards are applied. Taking into account the state of the art, the cost of implementation and the nature, scope, context and purposes of processing as well as the risks of varying likelihood and severity for the rights and freedoms of natural persons posed by the processing, JADRANKA TURIZAM implements appropriate technical and organizational measures, both at the time of the determination of the means for processing and at the time of the processing itself, to ensure effective application of the data-protection principles.

In addition, JADRANKA TURIZAM applies appropriate technical and organizational measures to ensure that, by default, only personal data which are necessary for each specific purpose of the processing are processed. We apply the relevant measures to the amount of personal data collected, the extent of their processing, the period of their storage and their accessibility. In particular, such measures are applied to ensure that personal data are not made accessible by default, i.e. without the individual's intervention, to an indefinite number of natural persons.
Actions Taken in the Event of a Personal data Breach
JADRANKA TURIZAM, as the controller, will assume the obligation to notify the competent supervisory authority in the case of a personal data breach without undue delay and, where feasible, no later than 72 (seventy-two) hours after becoming aware of it, unless the personal data breach is unlikely to result in a risk to the rights and freedoms of natural persons.

The notification sent to the supervisory body must contain all information defined in the Regulation. 

If the personal data breach is likely to result in a high risk to the rights and freedoms of natural persons, JADRANKA TURIZAM, as the controller, will communicate the personal data breach to the data subject without undue delay. In particular cases prescribed by the Regulation, the communication to the data subject will not be required.

Special Section

ACCOMMODATION AT OUR FACILITIES (hotels, apartments, camps)
The main area of activity of JADRANKA TURIZAM is provision of accommodation services at its hotels, apartments and camps. We therefore collect and process your personal data for various purposes with the ultimate goal to provide quality accommodation and related services in accordance with the highest standards.

JADRANKA TURIZAM, as the controller, stores the personal data you are required to provide in order to receive accommodation services in its database for the purpose of performing the accommodation agreement and complying with the statutory obligations prescribed for the hospitality sector. Unless you provide to us the minimum required data for making a reservation of accommodation or for registering you with all the competent authorities during your stay at our facilities, JADRANKA TURIZAM will not be able to provide accommodation services to you, or at least not such that are in compliance with the agreement and the law.

We require certain data to take particular actions at the request of data subjects prior to concluding an accommodation agreement. For example, before making a reservation, JADRANKA TURIZAM sends accommodation offers to potential guests in response to their inquiries. To create such offers, we need certain personal data, i.e. at least the first and last name and the e-mail address of the person who has made the inquiry to whom the offer will be sent.

The personal data which we collect when making a reservation of accommodation (via the Internet or over the phone through our Call Center, or on the basis of an e-mail in which the potential guest accepts our offer) to comply with the requirements concerning reservations are:
  • first and last name of the person for whom the reservation is made,
  • first and last name of other guests to which the reservation refers,
  • permanent address (in the case of Croatian citizens),
  • date of birth,
  • identification document number, type and place of issue,
  • citizenship,
  • name of the facility,
  • accommodation unit number,
  • check-in and check-out dates,
  • number of persons for which accommodation is reserved and room assignment,
  • number and identity of underage children,
  • possible other specific details, as requested by the person making the reservation,
  • e-mail address, if any, 
  • preferred language of communication,
  • phone number,
  • membership in the LH&V Premium Club and/or the Camping Cres & Lošinj Club Loyalty Program, where it affects the accommodation rates,
  • payment method.
In the event of cancellation, your data will be retained for future reference in case we need to prove that the reservation was made, or that it was cancelled.

When they arrive at the facility, the guests usually register at the reception by completing the registration form or by verifying the data entered on the registration form. In any case, the data from the registration form are recorded in the guest database, from which they are automatically forwarded to the eVisitor system (a unique online guest check-in and check-out information system) for the purpose of complying with the statutory obligations. The data which we collect for this purpose (which may vary depending on the changes in the applicable regulations) are:

  • first and last name,
  • city, country and date of birth,
  • citizenship
  • identification document number and type,
  • permanent (temporary) residence and address,
  • date and time of arrival to (check-in) and departure from (check-out) the facility,
  • gender,
  • basis for exemption from the obligation to pay sojourn tax, or for a reduction in the sojourn tax fee.
The afore-mentioned data are processed by the tourist offices and public authorities of the Republic of Croatia for the following lawful purposes:

  • checking compliance with the obligation to submit guest check-in and check-out information in the case of entities subject to such requirement (i.e. accommodation service providers),
  • keeping a record of, charging and collecting the sojourn tax,
  • maintaining a guest register or a list of guests by accommodation service providers and checking compliance with the said obligation by the relevant inspection authorities,
  • registering foreign nationals with the Ministry of Internal Affairs and checking compliance with the said obligation by the relevant inspection authorities,
  • maintaining a list of tourists by travel agencies, and statistical analysis and reporting,
  • supervising the operations of accommodation service providers in the part that refers to the lawfulness of the registered activity, i.e. services, and checking compliance with tax regulations and other regulations relating to public duties.
Since it is prescribed that the data required for guest registration are to be obtained from the guest’s ID card, passport or some other identification document, the guest must present such document to us as well as provide all other information required for registration, which are not contained in the presented document. In addition, to claim certain rights and benefits, the guests must deliver the relevant deeds, certificates and documents (or copies thereof) as proof of entitlement and basis for claiming the same.

In accordance with the relevant applicable regulations, JADRANKA TURIZAM is also required to keep all invoices and records on the basis of which the invoices are issued, which contain personal data of guests.

If such data are directly associated with the provision of accommodation services, while you are staying  at our facilities we may collect and process other data concerning your travel accommodation, such as: method of transport, persons you are travelling with, your marital status, number of children, pets, and other interests.

Before, during and after your stay, JADRANKA TURIZAM, as the controller, has the right, on the basis of a legitimate interest, to send to you, as our guest, the so-called ‘service e-mails’, such as reservation confirmations, reminders regarding your stay (accommodation) at our facilities, and other notifications closely associated with the reserved accommodation.

During and after your stay, JADRANKA TURIZAM, as the controller, also has the right, on the basis of a legitimate interest, to send to you, as our guest, satisfaction survey questionnaires, which you are kindly asked to complete and which will be processed by JADRANKA TURIZAM itself or by a designated associate. The primary purpose of satisfaction survey questionnaires is to gather information about the service we provide with the aim of improvement, which is our legitimate interest. We may depersonalize and process the data from the questionnaires for statistical purposes.

JADRANKA TURIZAM also has the right, based on a legitimate interest, to collect certain data and use them for the purpose of direct marketing, as described in the chapter entitled NEWSLETTERS.

The service e-mails and e-mails with satisfaction survey questionnaires provided in respect of a specific stay are not considered as newsletters sent for the purpose of informing guests about the offers of and news concerning JADRANKA TURIZAM. 
EXCHANGE OFFICES
JADRANKA TURIZAM also provides exchange services, usually at locations within the reception areas of its tourist facilities. In accordance with the applicable anti-money laundering and terrorist financing regulations, JADRANKA TURIZAM is required in certain situations to determine and verify the identity of the person using the exchange services by inspecting his or her official identification document in his or her presence, and by conducting due diligence. In such cases where we have a statutory obligation to conduct due diligence but are unable to perform the prescribed measures in respect of a particular person, we will not be able to establish a business relationship or execute a transaction with that person, and will also be forced to terminate any existing business relationships with the same. We will also have to consider whether the competent state authority should be notified of a suspicious transaction, funds or person(s).

Pursuant to the relevant regulations, JADRANKA TURIZAM is also required to ensure that its exchange office locations are covered by a video surveillance system. The data obtained from video surveillance cameras are stored in accordance with the regulations governing the relevant statutory obligation. More information about the lawful processing of personal data obtained through video surveillance is available in the chapter entitled VIDEO SURVEILLANCE.
EXCURSIONS, CONCERTS, TRANSFERS AND OTHER SERVICES
JADRANKA TURIZAM is also a travel agency that provides or arranges additional services for its guests and other persons. Such additional services may be requested/booked over the phone, via the Internet or in person at the facilities of JADRANKA TURIZAM. Some services are provided on the premises of the relevant facility (e.g. wellness services, bike rental, rental of other sports gear, tennis courts, deck chairs, restaurant reservation services, Children’s Club services, and similar), while other services refer to events organized outside our facilities (e.g. excursions, concerts, other events, transport services, rent-a-car services and other services, as needed).

If you want to use such services, JADRANKA TURIZAM may be required to collect the following data that concern you:
  • first and last name,
  • contact details (phone and/or e-mail address),
  • other data closely associated with the service(s) to be provided (e.g. flight number, if a transfer service from the airport to the JADRANKA TURIZAM facility is requested; or gender, citizenship, date of birth, and identification document type and number to ensure compliance with the statutory provisions associated with crossing the state borders, if you want a cross-border flight)
These and certain other data, depending on the requested service, will be collected exclusively for the purpose of providing the relevant service.
 
If you want to arrange a service organized by our associates, the relevant data will be forwarded to the associate responsible for providing the service in question. Once the data are forwarded to the relevant associate, that associate becomes the controller. We therefore kindly request that you read the Privacy Policy of the relevant associate as well.

If personalized offers are sent to a buyer or if a buyer is contacted at his or her request in response to a submitted web form, the data provided in that form will be kept for a period of 1 (one) year. However, if the buyer has consented to the processing of personal data for this purpose, we will keep the relevant data until the buyer, in its role of a data subject, withdraws his or her consent.

Provided the client has given his or her consent in that regard, the data provided in customer experience survey questionnaires and online comments will be kept for a period of 1 (one) year.

The data which we collect in connection with providing additional services to our guests or third parties (excursions, concerts, events and experiences, transport), requested over the phone, at our receptions areas or via the Internet, will be stored for up to 5 years for future reference in the event of complaints regarding the services provided. The relevant data will be kept of a longer period only if that is required in accordance with special regulations (accounting regulations, or similar). In the case of some services (e.g. deck chair rental, and similar), the data are kept only until the service is provided.

JADRANKA TURIZAM also has the right, based on a legitimate interest, to collect certain data and use them for the purpose of direct marketing, as described in the chapter entitled NEWSLETTERS.
MEMBERSHIP IN LOYALTY PROGRAMS
Lošinj Hotels Premium Club
By becoming a member of the Lošinj Hotels Premium Club, the guests earn the right to claim benefits while staying at the facilities of JADRANKA TURIZAM in the manner defined in the General Terms and Conditions of Membership in the Lošinj Hotels Premium Club. All terms and conditions of membership, the associated obligations of JADRANKA TURIZAM and the relevant data subject rights are defined in the General Terms and Conditions of Membership in the Lošinj Hotels Premium Club that may be found at: https://www.losinj-hotels.com/hr/premium-club/. To become a member of the Lošinj Hotels Premium Club, a guest must submit a membership application. If accepted, he or she will receive various benefits and is free to terminate his or her membership in the relevant loyalty program at any time, i.e. the guest may decide to stop being a member of the Lošinj Hotels Premium Club.

The data provided to us by data subjects when applying for membership generally include: first and last name, date of birth, address, zip code, city, country, phone number, e-mail address(es), and preferred language of communication. 

The above-stated data will be kept in the JADRANKA TURIZAM database for a period of 10 years from the date on which the relevant guest joined the loyalty program, or from the date of his or her latest stay at the JADRANKA TURIZAM facilities.
 
JADRANKA TURIZAM, as the controller, has the right, on the basis of a legitimate interest, to use the data obtained from the members of this loyalty program for sending information (newsletters) associated with the membership in the relevant loyalty program (member-only benefits, and similar) or about the offers of and news from JADRANKA TURIZAM, via e-mail, phone, SMS service and/or one of the instant messaging platforms (Viber, WhatsApp, and similar) during a period of 10 years from the date on which a particular guest joined the loyalty program, or from the date of his or her latest stay at the JADRANKA TURIZAM facilities. You can submit an objection to this type of processing or a request for removal from the list of newsletter recipients to info@losinj-hotels.com at any time. If you unsubscribe from our newsletter(s), that will not affect the legitimate interest of JADRANKA TURIZAM to send service e-mails and satisfaction survey questionnaires regarding accommodation at our facilities, or any other service e-mails to the data subjects who are also our guests. 
Camping Cres & Lošinj Club
By becoming a member of the Camping Cres & Lošinj Club, the guests earn the right to claim benefits while staying at the JADRANKA TURIZAM camps in the manner defined in the General Terms and Conditions of Membership in the Camping Cres & Lošinj Club. All terms and conditions of membership, the associated obligations of JADRANKA TURIZAM and the relevant data subject rights are defined in the General Terms and Conditions of Membership in the Camping Cres & Lošinj Club that may be found at: https://www.camps-cres-losinj.com/hr/loyalty.aspx. To become a member of the Camping Cres & Lošinj Club, a guest must submit a membership application. If accepted, he or she will receive various benefits and is free to terminate his or her membership in the relevant loyalty program at any time, i.e. the guest may decide to stop being a member of the Camping Cres & Lošinj Club.

The data provided to us by data subjects when applying for membership generally include: first and last name, date of birth, street, zip code, city, country, and e-mail address. 

The above-stated data will be kept in the JADRANKA TURIZAM database for a period of 10 years from the date on which the relevant guest joined the loyalty program, or from the date of his or her latest stay at the JADRANKA TURIZAM facilities.
 
JADRANKA TURIZAM, as the controller, has the right, on the basis of a legitimate interest, to use the data obtained from the members of this loyalty program for sending information (newsletters) associated with the membership in the relevant loyalty program (member-only benefits, and similar) or about the offers of and news from JADRANKA TURIZAM, via e-mail, phone, SMS service and/or one of the instant messaging platforms (Viber, WhatsApp, and similar) during a period of 10 years from the date on which a particular guest joined the loyalty program, or from the date of his or her latest stay at the JADRANKA TURIZAM camps. You can submit an objection to this type of processing or a request for removal from the list of newsletter recipients to info@camps-cres-losinj.com at any time. If you unsubscribe from our newsletter(s), that will not affect the legitimate interest of JADRANKA TURIZAM to send service e-mails and satisfaction survey questionnaires regarding accommodation at our facilities, or any other service e-mails to the data subjects who are also our guests. 
CONTEST / QUESTIONNAIRE FORM
JADRANKA TURIZAM may from time to time organize certain contests. We will collect your personal data for contest purposes only if you decide to participate in one of our contests. The data to be collected for contest purposes, i.e. information required for participation, will be determined in the Contest Rules which are defined for each contest separately and may therefore vary. Such data, collected on the basis of a contractual obligation of a sort, will be used for the purpose of executing the contest in accordance with the Contest Rules, and will be deleted within a period of 5 years following contest termination. 

The guests staying at our facilities who complete our service quality survey questionnaires often, simply by doing so, become eligible to participate in a contest. In that case, this will be clearly indicated on the form. If you complete a contest form and provide certain data which are not required for participation in the relevant contest (the data may vary from one contest to another), JADRANKA TURIZAM may use such data in their depersonalized form for statistical purposes.

JADRANKA TURIZAM also has the right, based on a legitimate interest, to collect certain data and use them for the purpose of direct marketing, as described in the chapter entitled NEWSLETTERS.

JOB APPLICANTS AND EMPLOYEES

JADRANKA TURIZAM employs a large number of natural persons. This chapter of the Privacy Policy regulates the protection of personal data in the processes associated with employment, development and education performed at JADRANKA TURIZAM. The data subjects therefore primarily refer to our existing and former employees, job applicants, persons attending practical training (i.e. pupils), persons attending a professional development program, students working on the basis of the so-called ‘student employment contract’, scholarship recipients and other persons whose data we process in connection with labor and related relations.

In the context of employment, JADRANKA TURIZAM processes data for the following purposes:
  • staff selection, which includes collection and further processing of the relevant job application and supporting documents, testing and evaluation, gathering and analysis of applicant data from publicly available sources, including the applicant data publicly disclosed by the applicant himself or herself, if relevant in terms of the risk associated with a specific position;
  • reputation risk mitigation, which includes collection and analysis of information concerning employees and persons who are in a relationship with JADRANKA TURIZAM which is comparable to an employment relationship from publicly available sources, including such which is publicly disclosed by the data subject himself or herself, if relevant in terms of the risk associated with a specific position;
  • contract conclusion, i.e. the data are processed for the purpose of concluding an employment contract, a service contract, a student employment contract, a contract with regard to participation in practical or occupational training, a scholarship contract with persons who are not in an employment relationship with JADRANKA TURIZAM, or in any other comparable relationship;
  • exercising financial and other rights, in which case the processing of data is necessary for the purpose of exercising financial and other rights of employees, persons in a comparable relationship and other persons (e.g. children, spouses or insurance beneficiaries), e.g. the right to participate in the Active Labor Market Policy measures (i.e. Permanent Seasonal Worker, and other), or certain additional rights defined in the collective contract of JADRANKA TURIZAM in case of special circumstances (e.g. the birth of a child), etc.;
  • contract performance, in which case the processing of data is necessary for the purpose of ensuring contract performance on the part of the data subject, including the performance of work duties, the associated monitoring and all the relevant measures ensuring performance of work duties;
  • registration of stay, in which case the processing of data is necessary when the data subjects are accommodated in private facilities intended for workers for the purpose of registering their stay with the competent authorities;
  • performance management, which includes the collection and processing of information concerning the achievement of predefined goals, timely achievement of goals, additional analyses performed for the purpose of defining future goals, managing human resources and determining the amount of remuneration, as well as concerning other relevant measures;
  • remuneration, which includes the processing of data associated with employee remuneration, i.e. payment of the fixed and variable parts of remuneration, and in certain situations the processing of data concerning the breaches of ethical and other internal rules, the data from the performance management system, the data concerning education and training program attendance, and any other relevant data;
  • education and training, which includes the processing of data performed for the purpose of ensuring education and training to persons working under the management of JADRANKA TURIZAM, the processing of data performed in connection with knowledge testing and the preparatory activities associated with the application and registration of data subjects for participation in such programs, the processing of data for the purpose of analyzing the acquired knowledge and the processing of other information relevant in terms of organization and implementation of education and training programs, and further actions following program completion;
  • drafting employee reports, which includes the drafting of reports for the purpose of complying with the statutory obligations of JADRANKA TURIZAM, for the purpose of exercising certain rights, for the purpose of fulfilling our obligations in cases where certain additional employee benefits, budgets, etc. are allocated and claimed;
  • provision of information, which includes the collection and processing of data for the purpose of providing quality and timely information to applicants about job openings and active application processes, i.e. career opportunities at JADRANKA TURIZAM; collection and processing of data for the purpose of providing quality and timely information to all employees of JADRANKA TURIZAM about the newly introduced changes or special notices relevant in the context of exercising the rights arising from the employment relationship or other important notices issued in connection with the general developments and activities performed within JADRANKA TURIZAM in the context of exercising the rights arising from the employment relationship or some other comparable relationship; for this purpose and with the aim of ensuring quick and efficient provision of information, the relevant information is delivered over the phone and/or to the official e-mail address(es) of employees or their private e-mail address(es) if they have consented to the use of the same for that purpose; furthermore, JADRANKA TURIZAM may offer to its employees the possibility of using certain applications providing various information and news about JADRANKA TURIZAM and other companies within the JADRANKA GROUP and/or its partners, which the employees voluntarily install on their mobile devices;
  • protection or people and property, which includes the monitoring of entrances/exits from business premises; the use of official mobile devices, computer equipment, the Internet and phone connections, vehicles; the offices and other property of JADRANKA TURIZAM; and access to the property of guests as prescribed by internal acts;
  • termination of employment, which includes the processing of data for the purpose of terminating the employment relationship or some other comparable relationship, and for the purpose of complying with the relevant statutory and contractual obligations;
  • ethical conduct monitoring, which includes the processing of data used in the context of any procedure performed for the purpose of assessing compliance with the regulations concerning ethical conduct and protection of dignity, or actions taken as part of other disciplinary procedures, regardless of whether the data subject is the person who has been reported or the person who has reported someone else;
  • safety at work, in which case the processing of data may be necessary for the purpose of complying with special safety-at-work regulations, including the alcohol blood test and testing for other addictive substances in accordance with the applicable regulations. 

JADRANKA TURIZAM relies on a legitimate interest in providing various benefits to its employees as well as facilitating certain business processes. More precisely, JADRANKA TURIZAM may, by virtue of a special decision, decide to implement various tools to achieve these purposes (e.g. it may issue ID cards to its employees for the purpose of allowing them to claim discounts; it may also provide certain instructions to employees via the SMS service; or, in certain cases, organize a photo shoot, and similar), of which all employees will be timely informed.

In addition to the purposes listed above, we may also process personal data for other specific purposes. In any case, such processing will be performed only if and to the extent permitted by law, or for as long as necessary for exercising the rights and obligations arising from or in connection with the employment relationship, or any other comparable relationship.

The JADRANKA TURIZAM database which contains information about existing and former employees, job applicants, persons attending practical training (i.e. pupils) and persons attending a professional development program, students employed on the basis of the so-called ‘student employment contract’, scholarship recipients, and other persons whose data are processed in the context of labor and related relations is maintained in special applications. We have entered into appropriate arrangements with the entities responsible for maintenance and support of such applications, in particular regarding their role as processors.
Staff Selection
As a potential employer, JADRANKA TURIZAM collects, processes and stores information concerning the persons applying for positions at JADRANKA TURIZAM. We keep the relevant data in the applicant database relying on the fact that they have provided such data voluntarily:
  • by completing an online application form which serves as a CV of a sort,
  • by applying via e-mail, 
  • by visiting our Human Resources Sector and completing the relevant application forms,
  • or in some other manner.
JADRANKA TURIZAM may also obtain applicant data indirectly, i.e. from local and foreign employment agencies. In such cases, the relevant agencies are required to inform the applicants that their personal data will be processed by JADRANKA TURIZAM.

The applicants can send their applications in the form of:
 
  • open applications, in which case applicant data will be stored and processed for the purpose of contacting the applicants in connection with employment during a period of 10 (ten) years relying on the legitimate interest of JADRANKA TURIZAM;
  • applications for specific jobs, in which case the application process has a defined deadline and the applicant data are stored and processed during the application process and for a period of 5 months following its completion for the purpose of contacting the applicant in connection with the position for which he or she has applied; applications of this kind are archived for a period of 10 (ten) years; during that period, JADRANKA TURIZAM may also contact the applicant, relying on its legitimate interest, in the case of some other job opens for which he or she has the necessary qualifications and meets all other requirements
 
In the case of both open applications and applications for specific jobs with a defined deadline, applicant data which are processed on the basis of a special consent will continue to be processed for the purpose of contacting the applicant in connection with employment until he or she withdraws such consent.

JADRANKA TURIZAM relies on its legitimate interest as the legal basis for using the provided e-mail addresses as well as all other contact details for the purpose of contacting the applicants in connection with employment. For example, we may send an automatic reply to applicants who have applied for a position with us to inform them that their application has been received and that the applicants whose qualifications and experience match the requirements of specific jobs will be contacted. We may also deliver a message to the provided phone number informing the applicants of the proposed job interview time, the documents required for the purpose of establishing an employment relationship, and similar. In addition, JADRANKA TURIZAM has a legitimate interest to contact, in the previously described ways, the persons who have previously performed temporary positions for the company, mainly seasonal jobs,   in connection with employment in the upcoming seasons. 

The personal data which are stored are generally obtained directly from applicants. However, relying on its legitimate interest to ensure that only the finest applicants are selected, JADRANKA TURIZAM may also create certain personal data based on the activities performed in the process of recruitment, e.g. a record of results of job interviews, tests and evaluations, and may also collect personal data from third parties, primarily for the purpose of verifying the data obtained during the recruitment process by contacting the relevant third parties (e.g. employment agencies, education and training providers), or using various publicly available sources.

Employment Relationship and Other Comparable Relationships

As an employer, JADRANKA TURIZAM collects, processes and keeps all employee-related data in an electronic employee database created and maintained in an IT application and in the physical employee files. The types of employee data which are collected are defined in the Ordinance on the Content and Manner of Keeping Employee Records published by the Ministry of Labor and Pension System. 

In general, the data required for establishing an employment relationship include: a copy of the worker’s ID card; a copy of the worker’s current account or payment instructions obtained from the bank; a copy of the worker’s protected account (if opened); a certificate of non-conviction; the worker’s PIN; proof of professional qualifications (i.e. a copy of the worker’s high school or university diploma); the worker’s e-employment record, i.e. a certificate of years of pensionable service (which can be obtained from the Croatian Pension Insurance Fund or via the e-Citizen service); the worker’s electronic tax card, i.e. the so-called “PK form” (which can be obtained from the Tax Administration or via the e-Citizen service; the persons who are being employed for the first time, i.e. those who do not already have a tax card, must go to the competent Tax Authority and open it); birth certificates for children under 15. In addition to the previously stated information, third-country citizens (i.e. persons who are not citizens of the states that belong to the European Economic Area (“EEA”), which includes the European Union, the Monarchy of Lichtenstein, the Kingdom of Norway and the Republic of Iceland), or the Swiss Confederation, who are either citizens of a third country or stateless persons) will generally be requested to provide the following additional data for the purpose of employment: a copy of their passport; the name of their father and/or mother; and their date and place of birth.

In general, the data required to conclude an employment contract with pupils and students include the following: a certificate issued by the school/university confirming that status of the relevant person as a pupil/student in the relevant academic year or a copy of the student’s record book confirming enrolment in the current academic year; a copy of his or her ID card; a certificate of payment of the Student Center membership fee (not required in the case of all student centers); a certificate confirming that a gyro account has been opened with a bank (issued by that bank) and the relevant account number; a photo or a copy of the student’s x-card; PIN.

Besides the information stated above, JADRANKA TURIZAM may also keep in its employee files other information collected during the recruitment process or the employment relationship, which are defined in the relevant company regulations (e.g. data concerning rewards, warnings, reminders, confirmations, certificates, and similar). 

All employee data are kept in our employee database, starting from the date on which the employment relationship is established, and are regularly updated until termination of the employment relationship. They are treated as records of permanent value in accordance with the relevant regulations.
 
In our database we also store the data concerning persons who are in a business relationship with us which is comparable to an employment relationship and the data concerning persons attending practical training or a professional development program at our facilities. We keep such data from the beginning of the relevant program and regularly update them until the program ends, all in accordance with the relevant regulations. Pupils attending practical training at our facilities represent a special case as they may be minors. We treat them with special attention and take special care to ensure that their data are collected and stored pursuant to special regulations, subject to permission from both the school and the parents.

With regard to the manner and period for which they are stored, the data concerning employee salaries and payrolls are governed by special regulations. In any case, all employees of JADRANKA TURIZAM and all other persons with whom JADRANKA TURIZAM maintains a business relationship comparable to an employment relationship, and persons attending practical training or a professional development program at our facilities enjoy all data subject rights.

BUSINESS PARTNERS

In our operations, we also processes information concerning our existing or potential business partners, including:

natural persons who are, who could become or who used to be business partners of JADRANKA TURIZAM, e.g. sole traders, independent professionals (e.g. attorneys, medical doctors, etc.), persons hired on the basis of service contracts (e.g. singers, painters, photographers, and similar), and other natural persons with a status of an entrepreneur; and

natural persons who, in the context of a particular segment of operations, represent legal entities with which JADRANKA TURIZAM has, could have or used to have a business relationship (e.g. persons executing deliveries in the name of their employers (trade companies); persons to whom invoices for their employers (legal entities) are sent; persons signing contracts on behalf of a trade company represented by persons executing the handover on behalf of the relevant trade company; persons who organize congresses in the name of their legal entities, and similar). 

With regard to the processing of data subject information in the relevant context, JADRANKA TURIZAM has identified the following purposes of processing:

In connection with the processing of data subject information, JADRANKA TURIZAM has identified the following purposes of processing:
contract conclusion, in which case the data are processed for the purpose of concluding a contract in connection with any segment of operations of 
JADRANKA TURIZAM (e.g. for the purpose of sending inquiries, special offers, requesting information concerning contract signatories, sending tender documents for the legal entities represented by the data subjects, and similar);
contract performance, in which case the processing in necessary for the purpose of performing a contract, including the fulfilment of contractual obligations, the associated monitoring activities and the measures required to ensure execution of obligations (e.g. in connection with defining the time and place of delivery of equipment in accordance with the contract; or defining the location to which invoices will be sent, etc.);
provision of information, which includes the collection and processing of data for the purpose of ensuring quality and timely provision of information. 

In addition to the purposes listed above, we may also process personal data for other specific purposes. In any case, such processing will be performed only if and to the extent permitted by law, or if necessary for exercising the rights and obligations arising from a business relationship.

In the context of business relationships, we collect the following data subject information:
first and last name,
e-mail,
phone number,
function performed within the legal entity which the data subject represents (e.g. a sales representative, an administrative secretary, and similar),
profession, if the data subject is a natural person with whom a contractual relationship is established (e.g. singer, painter, photographer, attorney, medical doctor, etc.),
in certain cases, letters of recommendation and CVs (e.g. for consultants),
details provided in blank promissory notes, promissory notes and bills of exchange,
bank account no. (IBAN), if the business partner is a natural person with whom a contractual relationship is established,
other information depending on the nature of the business relationship. 

The personal data concerning data subjects may be obtained from:

expressions of interest in establishing a business relationship received from data subjects

details provided by data subjects in connection with the sale of products/services of JADRANKA TURIZAM, or the purchase of products/services of our business partners (e.g. fairs, congresses, and similar),

business correspondence associated with a particular former or current business relationship (e.g. correspondence conducted for the purpose of contract performance),

publicly disclosed information (e.g. information entered in the court register, published on the website of business partners, in magazines, bulletins, and similar). 

In addition to the mentioned types of personal data and ways in which they can be obtained, we may also process personal data for other specific purposes. In any case, such processing will be performed only if and to the extent permitted by law, or if necessary for exercising the rights and obligations arising from a business relationship. 

Retention Period
The data concerning the data subjects who have established a business relationship with JADRANKA TURIZAM as natural persons are kept in accordance with the applicable statutory regulations (e.g. we are required to store all invoices and bases for issuing invoices pursuant to statutory regulations).

Where JADRANKA TURIZAM is authorized to determine the data retention periods in its sole discretion, such periods are determined taking into account the purpose of processing and the interests of data subjects regarding destruction of the relevant data. It has been determined that the data which concern the aforementioned data subjects will be stored for a maximum of 10 (ten) years, counting from the date of termination of the contractual relationship (if it existed).

PUBLIC NOTICES

On its websites, social network profiles, video walls and notice boards installed in its facilities, and also in its newsletters, JADRANKA TURIZAM publishes information relevant to both its existing and potential employees, business partners, and the wider public. Such notices may contain a limited set of personal data, e.g. first and last name, function, job-related data, videos, statements, and photographs.

When processing data in connection with public notices, we rely on our legitimate interest to inform the public. Certain notices are published for marketing purposes, however. In such cases, we take care to ensure that the interests of data subjects are respected. More precisely, JADRANKA TURIZAM will not publish the personal data of a data subject whose interest not to publish specific personal data which concern him or her override our interest to publish them. In some situations, information may also be published on the basis of consent. In such cases, we take care that the highest standards are applied.

Our public notices are of a permanent nature. In that manner, we ensure that the information provided can refer to both current events and previous activities.

If the objection to the processing of personal data for this purpose expressed by a data subject is proved founded, or if the data subject withdraws his or her consent, where the processing is based on consent, we will stop processing the personal data that concern the relevant data subject for this purpose in any manner feasible. 

NEWSLETTERS

JADRANKA TURIZAM processes personal data for direct marketing purposes relying on its legitimate interest. In this context, we primarily refer to the sending of offers and notices of JADRANKA TURIZAM via e-mail in the form of newsletters. Relying on its legitimate interest, JADRANKA TURIZAM may send various newsletters depending on the nature of our relationship with the data subject. For this purpose, we collect the personal data of guests and persons who have submitted a request for offer or reserved accommodation with us, persons who have participated in one of our contests, persons who have joined one of our loyalty programs, persons who have filled out our satisfaction survey questionnaire, persons who have made a purchase at our web store, as well as persons who have established a relationship with JADRANKA TURIZAM in some other manner. The personal data collected for this purpose include primarily the first and last name and the e-mail address of the data subject but certain basic information about the data subject’s relationship with JADRANKA TURIZAM is collected as well (e.g. the facility in question, the details of the purchase, the event arranged). The data subjects have the right to object to such processing, including profiling to the extent that it is related to such direct marketing, whether with regard to initial or further processing, at any time and free of charge, as prescribed in the introductory recital (70) of the Regulation.

On some of its websites, JADRANKA TURIZAM provides a functionality allowing users to subscribe to its newsletters. To avoid errors or misuse when entering e-mail addresses, we implement the so-called ‘double opt-in process’ (2-step verification). More precisely, after a user enters his or her e-mail address in the Subscribe field, JADRANKA TURIZAM sends a confirmation link to the relevant e-mail address. Once the user clicks on that link, his or her e-mail address is added to the mailing list kept for a particular newsletter. Such newsletters are sent based on consent, which you, as the user, give by completing and confirming the relevant form on our website. You will be informed about the content and purpose of the newsletter at the time of subscription (e.g. notifications about special deals currently offered at our facilities, job openings, and similar). 

Where the data subjects voluntarily provide certain additional data when updating their profiles on our websites, JADRANKA TURIZAM will, relying on your consent, use such data for the purpose of sending newsletters as well. 

In addition, data subjects can give a special consent allowing collection of additional personal data (e.g. country, date of birth, interests and accommodation preferences), which JADRANKA TURIZAM collects and uses for the purpose of creating data subject profiles as well as for the purpose of contacting and informing the data subjects about special deals made especially for them.

The data subjects, members of our Lošinj Hotels Premium Club and/or our Camping Cres & Lošinj Club, may also receive our newsletters in the manner described in the chapter of this Privacy Policy entitled MEMBERSHIP IN LOYALTY PROGRAMS. 

Furthermore, the period during which the personal data provided for the purpose of sending newsletters may be processed is 10 (ten) years, counting from:

the date of the data subject’s last stay at our facilities, or termination of other business relationship with us, where the newsletters are sent relying on a legitimate interest; or
the date on which the data subject has given us his or her consent, where the newsletters are sent on the basis of consent. 
In all cases in which the data subject provides his or her consent, he or she will have the right to withdraw their consent, including such that is provided for the purpose of profiling, whether with regard to initial or further processing, at any time and free of charge. The relevant data subjects will also have the right to request, at any time, that their personal data be rectified or that they “be forgotten”.
And finally, regardless of the legal basis for receiving newsletters, you are free to unsubscribe from any newsletter by clicking on the link found at the bottom of the newsletter/SMS free of charge and without additional consequences. If you unsubscribe from a newsletter, it will no longer be sent to you, but your data will however be archived. More precisely, the fact that you have unsubscribed from a newsletter does not affect the legitimate interest of JADRANKA TURIZAM to continue sending service e-mails and satisfaction survey questionnaires related to a specific stay at our facilities or other service e-mails to data subjects in respect of which we rely, in terms of personal data processing, on more than one legal basis (e.g. they are also guests at our facilities, or job applicants). 
VIDEO SURVEILLANCE

In its role of a controller, JADRANKA TURIZAM has a legitimate interest to implement video surveillance measures to protect its facilities, people and property. Where certain job positions are concerned, it also has a statutory obligation to install security cameras to make video recordings of employees and other persons moving within the perimeter covered by the security cameras.

JADRANKA TURIZAM marks all locations placed under video surveillance in a prescribed manner.

We are aware that video recordings contain the personal data of all persons moving within the perimeter covered by the cameras (i.e. guests, employees, business partners, etc.) and we therefore protect such data with particular care. To be more precise, JADRANKA TURIZAM implements an integrated security system, an access authorization system, and a deletion policy defined in internal security regulations.

The video recordings are regularly overwritten, i.e. they are automatically deleted after no more than 6 (six) months from the date on which they are made. In exceptional circumstances, video recordings will be kept for a longer period of time if they serve as evidence in procedures held before competent state authorities. Such video recordings will be archived in the central alarm system, and subject to restricted access.

JADRANKA TURIZAM is allowed to use its video recordings for the purposes of court and/or criminal proceedings. The personal data contained in the relevant video recordings may also be made available to third parties, data processors and contractual partners of JADRANKA TURIZAM that are registered and qualified for providing property and people protection services. These entities will not use such data for any purpose. Their duty is to keep the central surveillance and alarm systems safe and operational. All other details regarding video surveillance are defined in the relevant special regulations.

WEBSITES, COOKIES AND INTERNET TECHNOLOGIES 

JADRANKA TURIZAM has several websites, including:


It is possible that even more websites will be created in order to provide the best possible service to our users, as well as to enable them to access the content which interests them more simply and quickly.

The provisions of this Privacy Policy apply to all our websites, including the sub-domains, mobile phone applications, applications for Apple devices (e.g. the Alhambra Guest Directory application), blogs, and other online communication channels. Some applications may be subject to special privacy rules. Users are advised to read the data protection policies published in those applications.

In this context, JADRANKA TURIZAM may obtain personal data from visitors to its websites and users of its applications. The relevant data are used for the purpose for which they are initially provided, which is determined taking into consideration the information received at the moment of collection, or for the obvious purpose identified from the context in which such data are collected. The users can control the personal data provided in online forms or applications. The automated processing enabled by cookies may be an exception to this rule, as explained below.

On some of our websites, we provide a functionality allowing users to subscribe to our newsletters in order to receive information and offers from JADRANKA TURIZAM. On our websites, you can also book accommodation in our facilities, or apply for a job with JADRANKA TURIZAM, and you can register for various events, and similar. In all these situations, you provide the data we need to perform the specific purpose. If you make a comment on a social network or other web domains of JADRANKA TURIZAM, you can be requested to allow us to move your comment to another location, indicating your name next to it. 

The legal basis for the processing of personal data which concern the visitors to JADRANKA TURIZAM websites is our legitimate interest or data subject consent, where such consent is requested from the data subject.

We may implement a wide range of new tools on our websites to enhance user experience. In all such cases we will make special arrangements with the service providers in which any processing of personal data will be described in detail.

This Privacy Policy does not regulate the treatment of information that belongs to other companies and organizations, which may in some cases be linked to the websites of JADRANKA TURIZAM and which may use cookies, pixel symbols, and other technologies. We therefore advise you to read their privacy respective rules and terms of service. Furthermore, the collection of data from the websites created for the purposes of specific events on which JADRANKA TURIZAM is named only as a sponsor, partner, and similar, is not controlled by JADRANKA TURIZAM. The same applies to the websites whose links are provided on our websites, but which do not refer to any of JADRANKA TURIZAM websites. Finally, by using different social networks, such as Facebook, Instagram, etc., you accept the terms of use of those platforms, including, among other, the rules regarding personal data processing.

JADRANKA TURIZAM advises you to make yourself familiar with those rules. 

Just like many other portals, the websites of JADRANKA TURIZAM use ‘cookies’ (small files placed on your computer when you visit our websites to ensure the basic or additional website functionalities) and other technologies, which serve to facilitate content delivery, depending on your interests, processing of reservations or requests, and/or analyzing the details of your visit. Cookies may not be used to reveal your identity. 

JADRANKA TURIZAM uses various types of cookies which differ…

…in terms of function:

strictly necessary cookies – they enable a website to function; a website cannot function without these cookies (it cannot be opened and may not even be visible); strictly necessary cookies are used for the transmission of communication and are necessary for providing information society services explicitly requested by the user; these cookies also enable the basic analysis of a website with the aim of improving its functioning based on fully anonymized data, i.e. not your personal data or any data which can in any manner be attributed to you; your consent is not necessary for placing the cookies of this type on your device, and is therefore not requested;

functionality cookies – these cookies enable a more advanced analysis of the functioning of a website; they are used to analyze user behavior; the collected anonymized data are used to determine the preferences and interests of website visitors, which allows us to customize our websites and make access to the website content and use of the website functionalities as simple as possible; the cookies of this type may not be placed on your device without your consent;

marketing cookies – these cookies are used to analyze your interests and preferences for the purpose of informing you about special or personalized offers, sending you the news and notifications of events organized via online channels (e-mail, internet, web campaigns); you will be requested to provide your consent to enable the use of cookies of this type. 

…in terms of their source:

first-party cookies – these cookies are created and placed by the website you are visiting, and may be permanent or temporary; they enable a website to store data to be used when the user visits the same website again;

third-party cookies – these cookies are created and placed by one or more websites, other than the one you are visiting; they enable other websites to track the use of the website you are visiting for marketing or analytical purposes. 

…in terms of duration:

permanent (stored) cookies – these cookies remain on your computer even after you close the web browser; they are used by the websites to store data, such as username and password, language settings or cookie preferences, so that you do not have to enter them each time you visit a particular website; the cookies of this type can stay on your computer or mobile device for days, months, or even years;
 
temporary (session) cookies - these cookies are deleted once the web browser is closed; they are used by the websites to store temporary data, such as the last few pages you have opened while visiting a particular website or the items you have put in your shopping cart while visiting a website which serves as a specialized online store.

The cookies placed by JADRANKA TURIZAM websites are stored in the user’s browser for a maximum of 2 years. 

You can delete the cookies stored on your computer at any time. However, by doing so, you also disable any further processing of your personal data using the relevant technology. Web browsers implement different procedures for deleting cookies.

Below are the links where the cookie deletion procedures of the most popular browsers are explained:

Mozilla Firefox:

Microsoft Edge:

Google Chrome:

FINAL PROVISIONS

We have updated our Privacy Policy. The updated version is applicable as of July 6, 2021. It is published on the following websites: https://www.losinj-hotels.com/hr/politika-privatnosti/ and https://www.camps-cres-losinj.com/hr/politika-privatnosti.aspx, and other websites of JADRANKA TURIZAM. The relevant document can also be obtained at the JADRANKA TURIZAM Human Resources Sector and receptions of our facilities. This Privacy Policy may be amended from time to time to reflect potential changes in legislation or operations affecting the protection of personal data of data subjects.

open applications, in which case applicant data will be stored and processed for the purpose of contacting the applicants in connection with employment during a period of 10 (ten) years relying on the legitimate interest of JADRANKA TURIZAM;

applications for specific jobs, in which case the application process has a defined deadline and the applicant data are stored and processed during the application process and for a period of 5 months following its completion for the purpose of contacting the applicant in connection with the position for which he or she has applied; applications of this kind are archived for a period of 10 (ten) years; during that period, JADRANKA TURIZAM may also contact the applicant, relying on its legitimate interest, in the case of some other job opens for which he or she has the necessary qualifications and meets all other requirements. 

by completing an online application form which serves as a CV of a sort,

  • by applying via e-mail, 
  • by visiting our Human Resources Sector and completing the relevant application forms,
  • or in some other manner

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