BORDERLESS TAIWAN CORPORATION（Taiwanese subsidiary） (hereinafter referred to as the “Company”), being fully aware that private information is extremely important for the privacy of our customers, shall ensure that our Directors, Executives and all employees comply with all applicable laws, regulations and in-house regulations in respect of private information and make every endeavour to protect that information.
The Company in order to ensure compliance with all applicable laws and regulations in respect of private information protection shall implement all necessary in-house regulations and systems.
The Company shall only use private information received for the purposes designated by our customers. Further the Company shall not without the consent in writing of the customer or without justifiable cause disclose or cause to be disclosed to any third party private information provided by a customer.
The Company shall, appropriately and with the standard of care expected of a prudent manager, control, manage and keep safe the private information of our customers and shall implement safety measures in order to prevent loss, destruction, alteration or inappropriate dissemination of the private information.
Where an enquiry or demand for disclosure of private information is made by a customer, the Company shall respond to said enquiry or demand in good faith.
TREATMENT OF PRIVATE INFORMATION
Provided Private Information and Its Use Where a customer is to provide the Company with private information, the purposes for which that information is to be used shall be designated in advance and the Company shall not use that information for any other purpose.Where the Company deems it is necessary to use a customer’s private information for a purpose other than the purpose designated at the time the private information was initially provided, the Company shall prior to any such use notify the customer of the desired use purpose and where the customer does not consent to use for that purpose, the customer based upon its own determination may refuse use.
Disclosure or Provision of Private Information to a Third Party Private information provided by a customer shall as a general rule not be disclosed or provided to a third party with the exception of where a circumstance set forth in this paragraph applies.
Where there is the consent of the customer.
Where it is necessary to prevent loss of human life, injury or damage to property and it is difficult to obtain the customer’s consent.
Where private information is disclosed to a commissioned party within the use purposes designated by the customer.
Where information is disclosed to financial institutions to the extent necessary to allow credit card processing for payments for goods and services.
Where disclosure of private information is legally required by judicial order or application of law, regulations or ordinances.
Where there is an assignment of operations for reasons including but not limited to mergers, company split-offs or assignment of business.
Inquiry as to private information In case you happen to have your correction or update of your private information, or you would like us to suspend your private information use, or you have any questions, please email us at 「firstname.lastname@example.org」. We will do what is needed to be done as far as we identify you, in order to prevent private information leakage.
The Company’s WebsiteBORDERLESS HOUSE
Dependent on the settings of a customer’s browser, cookies may be refused or a warning that a cookie has been received displayed. In cases such as these the use of the Company’s website may be limited through non-availability of personalized functions.
The Company does not accept any responsibility for guaranteeing the security of customers’ private information in respect of websites that are accessed through links posted on the Company’s website.
Additional Items Customers’ private information is protected by SSL encryption. Please note that where an SSL non-compatible browser is used or Firewall or other similar protection devices are installed, some pages may not be accessible from within that customer’s interoffice network. For customers under 18 years of age, private information should only be provided with the consent of a legal guardian. The Company may amend this policy or its in-house regulations for the purpose of providing greater protection of private information or in accordance with changes to applicable laws and regulations.