This document regulates the cooperation between META-INF and the Client, defining the conditions for providing services, the rights and obligations of both parties, as well as the details of the services provided. The purpose of the GTC is to establish a clear framework for both parties. It consists of the following main sections:
The preamble introduces the purpose of the GTC, the scope of the agreement, and provides a summary of the most recent amendments.
Chapters 1-3 cover basic definitions, the purpose of the agreement, and the process for establishing individual orders. Chapter 1 defines key terms, such as "Client" and "Service," to ensure the clear interpretation of the agreement. Chapter 2 details the purpose of the GTC, which is to regulate cooperation between META-INF and the Client. Chapter 3describes the process for establishing individual orders, from the initial proposal to the acceptance of the order.
Chapters 4-5 outline the rights and obligations of the parties, as well as the types of services provided. Chapter 4regulates the rights and obligations of both parties. Sections 4.1-4.4 contain general provisions that establish that, in the event of discrepancies, the provisions of the individual order prevail, and also describe the rules for cooperation. Section 4.5 details the types of services offered, including consulting services, training, product support, license sales, custom development, and services provided under the Service Card. Chapter 5 sets out the rules for service fees, including payment deadlines and invoicing procedures.
Chapters 6-7 cover penalties and warranties. Chapter 6 explains the application of penalties for delayed or faulty performance. Chapter 7 defines the warranty conditions that ensure the services meet the requirements outlined in the contract.
Chapters 8-10 deal with liability, breach of contract, and termination of the contract. Chapter 8 describes the limitations of liability, stating that the compensation payable by META-INF cannot exceed the fee specified in the order or the coverage provided by insurance. Chapter 9 addresses the consequences of a breach of contract and the obligations of the parties. Chapter 10 outlines the conditions for contract termination, including regular and immediate termination options.
Chapters 11-17 cover confidentiality, intellectual property, employee protection, data protection, and communication details. Chapter 11 defines the confidentiality obligations, which remain in effect even after the termination of the contract. Chapter 12 deals with intellectual property rights, ensuring that META-INF retains ownership, while the Client only has usage rights. Chapter 13 prohibits the Client from recruiting META-INF employees for 12 months after the termination of the contract. Chapter 14 includes data protection provisions, ensuring compliance with GDPR and other data protection regulations. Chapter 15 covers official communication channels and notification methods. Chapter 16contains anti-corruption measures to ensure compliance with applicable laws. Chapter 17 includes other provisions to ensure the validity of the contract.
This document regulates the legal relationship between META-INF, as an adult education provider, and individuals participating in the training sessions organized by META-INF, in accordance with the provisions of the Act on AdultEducation, 2013 (Act LXXVII).
The preamble introduces the purpose of the document, the scope of the agreement, and provides a summary of the most recent amendments.
Chapters 1-2 cover the objectives and details of the legal relationship. Chapter 1 details the purpose of the GTC, which is to regulate the legal relationship between META-INF and participants in the training programs. Chapter 2 defines the general rights and obligations of the parties, specifying that in case of any discrepancies between the GTC and the Application Form, the provisions of the Application Form shall prevail.
Chapters 3-4 outline the rights, obligations, and types of services provided. Chapter 3 details the rights and obligations of the parties, including META-INF’s responsibility for conducting the training and the Participant’s obligation to provide the necessary tools for the training. Chapter 4 contains provisions regarding training fees, including payment deadlines and conditions for various discounts.
Chapters 5-6 deal with contract termination and other provisions. Chapter 5 explains the consequences of a breach of contract and the conditions for contract termination, including both regular and immediate termination options. Chapter 6contains other provisions, including methods for resolving disputes and jurisdiction.
This document regulates the data processing activities conducted by META-INF Ltd., in compliance with the GeneralData Protection Regulation (GDPR), Regulation 2016/679. The purpose of this notice is to define the rights and obligations of data subjects and to provide a detailed description of how personal data is handled and for what purposes.
The preamble introduces the purpose of the document, its scope, and provides a summary of recent amendments.
Chapters 1-3 contain definitions and outline the conditions under which data processing occurs. Chapter 1 provides definitions of key terms, such as "User," "Data Controller," and "Data Processor," ensuring clear interpretation throughout the document. Chapter 2 details additional data protection terms, enhancing the understanding of the terminology used in the data protection notice. Chapter 3 explains when data processing occurs at META-INF, such as during contract execution, service provision, or communication with clients.
Chapter 4 details the purposes of data processing, the business areas involved, and the duration of data processing.
Data processing is conducted for different purposes across various business areas. General activities include processing data related to website browsing, such as IP addresses, to ensure the proper functioning of the website. When requesting a quote, users' names and email addresses are processed to create the offer. For newsletter subscriptions, data is processed with the user's consent until it is withdrawn. Billing data, such as name, address, and tax number, is processed in accordance with legal requirements. Personal data is also processed for job applications, including resumes, until the completion of the selection process. During contractual communication, contact details are processed, while for supporting nonprofit organizations, donation-related data is managed. Customer service and marketing communications are based on user consent, and involve educational and promotional activities. Data processing is also carried out for security purposes, and cookies are placed on the website to enhance user experience.
Regarding "Atlassian Vendor" activities, META-INF processes data for the use of its developed software, including licensing and data migration activities. Data related to the registration of reseller partners is also processed as part of pre-contractual preparations.
For "Atlassian Solution Partner" activities, data processing includes client registration prior to contract signing, consulting, support, and training services related to Atlassian systems. Data is also processed for event organization to facilitate the conduct of such events.
Chapter 5 discusses cookie policies.
Chapters 6-7 cover the withdrawal of consent and data storage practices. Chapter 6 describes how users can withdraw their consent for data processing, ensuring they have the freedom to decide on the continuation of data processing at any time. Chapter 7 discusses the methods of data storage, specifying the duration of data processing and the physical and technical security measures taken to protect the data.
Chapters 8-9 discuss data subject rights and data transfers. Chapter 8 outlines the rights of data subjects, including the right to access, rectify, erase, restrict, object to, and port data, allowing data subjects to properly control the processing of their personal data. Chapter 9 details data transfers, indicating the partners with whom data is shared, including Atlassian, resellers, banking partners, data processors, and accounting and IT service providers.
Chapters 10-13 cover data security measures, data disclosure, liability, and incident handling Chapter 10 discusses the use of social plugins that are available on META-INF's website. Chapter 11 describes the conditions under which data may need to be disclosed, such as in response to official requests by authorities. Chapter 12addresses META-INF’s liability in data processing activities, including compensation claims. Chapter 13 explains how data protection incidents are handled, including the immediate reporting and management of such incidents.
Chapters 14-16 include information about the Data Protection Officer (DPO), rules for modifying the data protection notice, and details on contacting META-INF regarding data-related questions. Chapter 14 states that META-INF does not employ a Data Protection Officer as there is no legal obligation to do so. Chapter 15 details the possibility of modifying the data protection notice and the methods of informing data subjects about such changes. Chapter 16 specifies how data subjects can address questions related to their personal data or assert their rights, including contacting the National Authority for Data Protection and Freedom of Information (NAIH).
META-INF Training Data Protection Policy
This document regulates the data processing activities conducted by META-INF Ltd. within the framework of training services, in accordance with the General Data Protection Regulation (GDPR), Regulation 2016/679, and the Act LXXVII of 2013 on Adult Education. The purpose of this notice is to define the rights and obligations of data subjects, as well as to provide a detailed description of how personal data is processed and for what purposes.
The preamble introduces the purpose, scope, and provides a summary of recent amendments to the document.
Chapters 1-3 include the basic definitions of data processing, additional related concepts, and describe the situations in which data processing takes place. The basic definitions include terms such as "User," "Data Controller," and "Data Processor," ensuring a clear interpretation of these terms. The situations in which data processing occurs include training sessions, workshops, and customer service activities.
Chapters 4-5 cover data storage and the rights of data subjects. Chapter 4 explains that data is stored until the purpose of processing is fulfilled or until the expiration period required by law. Chapter 5 presents the rights of data subjects, such as the rights to access, rectify, erase, and data portability.
Chapters 6-7 discuss the withdrawal of consent and joint data processing. Chapter 6 provides data subjects with the possibility to withdraw their consent at any time, while Chapter 7 describes the situations in which META-INF acts as a joint data controller and with whom.
Chapters 8-9 address data transfers and data disclosure. Chapter 8 explains the partners involved in data transfers and the conditions under which these transfers occur, while Chapter 9 describes the situations in which personal data may be disclosed, such as upon official request by authorities or due to a legal obligation.
Chapters 10-11 cover liability issues and data protection incidents. Chapter 10 defines the scope of liability of META-INF and the data subjects in relation to data processing, while Chapter 11 describes the procedures for managing data protection incidents, including reporting and addressing such incidents.
Chapters 12-14 provide information about the Data Protection Officer, amendments to the notice, and contact details for data subject inquiries. Chapter 12 states that META-INF does not employ a Data Protection Officer. Chapter 13 explains the rules for amending this data protection notice. Chapter 14 specifies whom data subjects can contact regarding their personal data and how they can exercise their rights, such as by contacting the Hungarian National Authority for Data Protection and Freedom of Information (NAIH).
This document regulates the data processing activities carried out by META-INF Ltd. in connection with applications for job opportunities advertised by the company. The purpose of this Notice is to provide transparency regarding the processing of applicants' personal data, in accordance with the General Data Protection Regulation (GDPR), Regulation 2016/679.
The preamble introduces the purpose and scope of the Notice, as well as a summary of the most recent amendments.
Chapters 1-4 include the basic definitions of data processing, additional related concepts, and explain the situations in which data processing occurs. Basic definitions include terms such as "User," "Data Controller," and "Data Processor," ensuring a clear interpretation of these concepts. The situations where data processing occurs include applications for job positions via different methods, such as email or the online application platform. Chapter 4 provides detailed information on the purposes and duration of data processing. Data is stored until the application process is concluded, or as long as necessary to enforce legal claims. The purposes include evaluating applications, maintaining contact, and fulfilling legal obligations.
Chapters 5-9 address the withdrawal of consent, the storage location and method, the rights of data subjects, data transfers, and data disclosure. Chapter 5 ensures that data subjects have the possibility to withdraw their consent at any time. Chapter 6 describes where and how data is stored, including physical and technical security measures. Chapter 7presents the rights of data subjects, such as the rights to access, rectify, erase, restrict, and data portability. Chapter 8outlines the details of data transfers, including the parties authorized to receive data. Chapter 9 details the situations in which META-INF is required to disclose personal data, such as upon official request from authorities or due to legal obligations.
Chapters 10-11 deal with liability and data protection incidents. Chapter 10 describes liability issues related to data processing, while Chapter 11 details the procedures for managing data protection incidents, including reporting obligations.
Chapters 12-14 contain information about the Data Protection Officer, amendments to the Notice, and contact details for inquiries from applicants. Chapter 12 states that META-INF does not appoint a Data Protection Officer. Chapter 13explains how the Notice can be amended, and Chapter 14 describes whom applicants can contact if they have questions about their personal data or wish to enforce their rights, for example, by contacting the Hungarian National Authority for Data Protection and Freedom of Information (NAIH).
META-INF Joint Data Processing Policy
This document provides information on the joint data processing activities conducted by META-INF Kft., Training360 Kft., and Masterfield Training Center in connection with training services, in accordance with the General Data ProtectionRegulation (GDPR), Regulation 2016/679.
The preamble introduces the purpose of the document, the effective period, and recent amendments, including changes in legal requirements.
Points 1-3 describe the details of data processing, the agreement between the joint controllers, and the data involved in the joint data processing. META-INF, Training360, and Masterfield Training Center jointly process the data of individuals participating in training, including personal data such as name, place and date of birth, and educational ID number. The purpose of data processing is to organize and conduct the training programs.
Points 4-5 cover the responsibilities and obligations of data processing. Point 4 states that Training360 and Masterfield Training Center are responsible for collecting data from participants and ensuring its lawful processing. Point 5 explains that data is transferred to META-INF, and it is also META-INF that forwards data to the relevant governmental education authority.
Points 6-7 concern the enforcement of participants' rights and customer service inquiries. Point 6 specifies that participants can exercise their rights related to data processing with Training360 or Masterfield Training Center. Point 7 details that customer service inquiries are also handled by Training360 or Masterfield Training Center.
Point 8 indicates that the online availability of the data protection notices of the involved parties can be found in this section.
Point 9 explains that participants can exercise their rights related to data processing against any of the parties, in accordance with Article 26(3) of the GDPR.