California Consumer Privacy Rights Notice
Effective: May 18, 2020
This California Consumer Privacy Rights Notice (“Notice”) sets forth REsimpli, Inc.’s (“REsimpli”) disclosure obligations under California law, including the California Consumer Privacy Act of 2018 (“CCPA”) and the California Civil Code section 1798.83. This Notice provides the additional details regarding the information defined as ‘personal information’ under applicable California law and related to a California resident or household (“Consumers” and “You”) further referred to as “Personal Information.”
- Personal Information Collected and Disclosed:
REsimpli collects, uses and/or discloses Personal Information as follows:
Personal Information Collected, Used and/or Disclosed in Preceding 12 Months | |||||
CCPA Category | Collected? | Source of Collection | Business Purpose | Disclosed or Shared for Business Purpose? | Purpose of Disclosure |
Category A Identifiers & B Personal Information
· Name/Alias |
Yes |
You;
|
Account Creation; Payment Processing; API Integrations (Opt-In); CRM/Lead Generation Services
|
Yes; Service Provider |
Payment Processing verification; CRM/Lead Generation Services; Account verification |
Yes | You | Account Creation;
Account Verification; Opt-in requests for information; CRM/Lead Generation Services |
Yes;
Service Provider |
Account verification;
CRM/Lead Generation Services; Marketing;
|
|
· Address | Yes | You
Service Provider; Public records re Real Property Platform-Related Services |
Payment Processing;
CRM/Lead Generation Services; Real Property Platform-Related Services
|
Yes;
Service Provider |
Payment Processing;
CRM/Lead Generation Services; Real Property Platform Services |
· Cell or Telephone # | Yes | You | In-Platform SMS Text Services | Yes;
Service Provider |
SMS Text Services |
· Unique/Online ID (cookies) | Yes | Device | Program Analytics;
Auditing Data Security Performing Services |
Yes;
Service Provider |
Website Services |
· IP Address | Yes | Device;
Service Provider |
Program Analytics;
Auditing; Data Security; Performing Services
|
Yes;
Service Provider |
Web Hosting; Analytics;
Data Security |
· Account Name | Yes | You | Account verification; Data Security | ||
· Social Security # | Yes; | Subscriber | Bookkeeping re Payments by Subscriber to 3rd parties | ||
· Driver’s License# | |||||
· Passport # | |||||
· Credit or Debit Card # /ACH | Yes | You
*stored as token only |
Payment Processing | Yes;
Service Provider *token only exchanged |
Payment Processing |
· Other: Medical/Financial/Health | Yes | Subscriber;
Public Real Property Records |
Link Bank Account for In-Platform Bookkeeping Services;
Real Property Platform-Related Services |
Yes;
Service Provider |
Real Property Platform-Related Services |
Category C: Protected Characteristics | |||||
Category D: Commercial Information
· Personal Property Records |
|||||
· Products/Services Purchased-Obtained-Considered | |||||
· Purchasing history/tendencies | |||||
Category E: Biometric Information | |||||
Category F: Internet/Network Activity
· Browsing/search history · Interaction with site/advertisement |
Yes
|
You; Service Provider
|
Site Analytics; |
Yes; Service Provider |
Site Analytics |
Category G: Geolocation data | Yes | Device | Real Property Platform-Related Services | Yes; Service Provider | Real property Platform-Related Services; Public Record Data Retrieval |
Category H:
· Audio |
|||||
· Electronic | |||||
· Visual | |||||
· Thermal | |||||
· Olfactory | |||||
· Other Similar | |||||
Category I: Professional/Employment-Related | |||||
Category J: Educational Information | |||||
Category K: Inferences from Data Collected
· Preferences |
|||||
· Characteristics | |||||
· Psychological Trends | |||||
· Predispositions | |||||
· Behavior | |||||
· Attitudes | |||||
· Intelligence/Abilities/Aptitudes |
Other Potential Third Party Disclosures: Personal Information may also be disclosed to third parties to serve our legitimate business interests as follows: (1) as required by law, such as to comply with a subpoena, or similar legal process, (2) as part of a merger, acquisition, bankruptcy or other transaction in which a third party assumes control of all or part of the business, (3) to investigate, prevent, or take action regarding suspected or actual illegal activities or to assist government enforcement agencies as required by law; (4) enforce our agreements with you, and/or (5) investigate and defend ourselves against any third-party claims or allegations.
- Sale of Personal Information
REsimpli does not sell and will not sell your Personal Information. CCPA Addendums have been entered into with applicable service providers certifying they understand the applicable CCPA restrictions relating to their processing of Personal Information.
- Your Consumer Rights under CCPA.
California Consumers may contact REsimpli through their account, by email at info@REsimpli.com to request the following:
- Request REsimpli Disclose At No Charge:
- categories of Personal Information collected, used, and/or disclosed about you;
- categories of sources from which Personal Information is collected;
- business and/or commercial purposes for collecting and disclosing your Personal Information;
- categories of third parties with whom your Personal Information has been disclosed/shared; and
- the specific pieces of Personal Information collected about you.
- Request REsimpli to Delete At No Charge:
Except as exempted pursuant to CCPA 1798.105, to request REsimpli delete Personal Information.
- Verified Request Process:
REsimpli will confirm all consumer requests prior to taking any action in response to such request. REsimpli shall verify the identity of the consumer making the request with the account information on file or by requesting additional information necessary to verify the consumer’s identity. Under the CCPA, you may exercise these rights yourself or you may designate an authorized agent to make these requests on your behalf. We may request that your authorized agent have written permission from you or other legal authority to make requests on your behalf and may need to verify your authorized agent’s identity.
- Consumer Request Limitations
Please note that these rights are not absolute and in certain cases are subject to conditions or limitations as specified in the CCPA, including, but not limited to:
- REsimpli is obligated to disclose/delete only upon a verifiable Consumer request from the consumer or an authorized agent acting on behalf of Consumer.
- Consumers may only make a personal information request twice in a 12-month period.
- Deletion is not required because it is necessary for REsimpli to maintain the Personal Information to fulfill the purposes enumerated in CCPA Section 1798.105
REsimpli will confirm and respond to all requests within the timeframe required under the CCPA. In responding to any request to disclose/delete, REsimpli shall maintain a record of the requests as required under the CCPA.
- Non-Discrimination Policy
You have the right not to receive discriminatory treatment for exercising any rights conferred by the CCPA. REsimpli shall not discriminate against a consumer for exercising any rights under the CCPA, including, but not limited to, (a) denying goods or services, (b) charging different prices or rates (including discounts/penalties) that is not directly related to the value provided to REsimpli for the Personal Information, (c) suggesting Consumer will receive a different rate/price or different level of quality of goods/services
- Your California Privacy Rights under California Civil Code Section 1798.83 & Business and Professions Code Section 22581
California law permits Consumers to request and obtain from once a year, free of charge, certain information about their Personally Identifiable Information (“PII”) (as defined by California law) disclosed to third parties for direct marketing purposes in the preceding calendar year (if any). If applicable, this information would include a list of the categories of PII that was shared and the names and addresses of all third parties with which we shared information in the immediately preceding calendar year.
In addition, a business subject to California Business and Professions Code Section 22581 must allow California residents under age 18 who are registered users of online sites, services or applications to request and obtain removal of content or information they have publicly posted. Your request should include a detailed description of the specific content or information to be removed. Please be aware that your request does not guarantee complete or comprehensive removal of content or information posted online and that the law may not permit or require removal in certain circumstances.
- Accessibility of this CCPA Policy.
- You can download and print a copy of this Notice here
- Contact Us
Additional detail regarding our collection, use and disclosure of Personal Information, as well as general opt-out rights and other privacy disclosures, is set forth in our general Privacy Policy.
If you have any questions regarding your Personal Information or about our privacy practices, please contact us at: REsimpli by email at: info@REsimpli.com or 8410 Kennedy Avenue, Highland IN. 46322
This Notice was last updated: 5-18-2020