Privacy notice
Slovenia · Launch details still to be completed.
Prepared 10 September 2026 for design review. The company identity and production processing setup are incomplete. Do not publish this draft as a legally approved notice.
Who is responsible?
The intended operating country is Slovenia. Before launch, insert the full legal company name, registered address, registration number, contact email and any applicable data-protection contact. These details have not yet been supplied.
What this preview does
The inquiry form is a local demonstration. It does not send or save your entries through this website’s form code. Use sample details only. No optional analytics, advertising pixel, chat widget or external video embed has been added to these design pages.
If you use Privacy choices, this preview stores a preference in your browser for up to 180 days. You can withdraw it through the same control. The private preview’s hosting, authentication, security and infrastructure logs are separate; the developer must document the actual providers and their processing before launch.
The footer’s motion preference stores only a true/false value in session storage after you choose it. It is used to reduce decorative movement in this tab and is not analytics. Your device’s reduced-motion setting is always respected.
The intended inquiry service
The proposed initial contact asks for your name and email, with organisation, telephone and a short message optional. Please do not send medical information, diagnoses, treatment history or confidential programme records in this initial form.
Before live collection, the controller must specify each purpose and legal basis. Responding to a person’s request about a possible service may involve GDPR Article 6(1)(b); other inquiries may require a documented Article 6(1)(f) assessment. These are drafting options, not selected legal bases. Consent is not automatically required for every contact inquiry, and acknowledging a privacy notice is not blanket consent.
Information about fears or symptoms may constitute health data. If the operating service needs such data, an Article 9 condition and an appropriate secure process must be established separately. A generic website checkbox is not a substitute.
Recipients, transfers and retention
Pending completion: identify the hosting provider, inquiry delivery service, email recipients and authorised staff; sign required processor agreements; assess international transfers and safeguards; define retention periods for inquiries, service records, security logs and backups. No retention schedule for live inquiries has been agreed.
Optional analytics
No optional analytics is active here. A proposed consent-first, minimal analytics setup is documented in the developer handoff. Any activation requires a completed assessment, configured consent controls, accurate notice and verified request blocking before consent and after withdrawal.
Your rights
Depending on the applicable conditions, you may request access, correction, deletion, restriction or portability, and object to processing. Where processing relies on consent, you may withdraw it without affecting the lawfulness of earlier processing. Supply the controller’s contact route before launch.
You may complain to Slovenia’s supervisory authority, Informacijski pooblaščenec. The final notice must explain any relevant automated decision-making, mandatory data requirements and consequences of not providing information. This preview does not make automated eligibility decisions.
Before this becomes the published notice
Complete and legally review the controller identity, actual purposes and bases, recipients, transfers, retention, rights procedure, analytics configuration and service-specific processing. Set an effective date and maintain a version history.