Worldata InfoCenter, Inc. deploys a wide range of data gathering, management, analytic and marketing services specifically geared to help our marketing partners direct relevant, data-driven marketing communications—including direct mail, inserts, email, digital, mobile and social media campaigns-to their customers and prospects, based on those consumers' interests, activities and demographics.
Worldata InfoCenter, Inc. is committed to protecting the information of its clients, as well as the consumers/businesses and prospective customers of its marketing partners, and making all parties aware of our practices regarding the privacy of their information.
Worldata InfoCenter, Inc. does not collect, hold or use sensitive information such as Social Security numbers, credit card numbers, credit scores, banking information, biometric or health data; as such, Worldata contains no Personally Identifiable Information data of any sort that can be released to any third party.
If you would like to opt out of digital advertising programs run through third party platforms and networks, you may go to the following industry sources and "opt out" channels, which provide opt-out resources to which third party platforms subscribe:
http://www.networkadvertising.org/ or http://www.aboutads.info/choices
You may opt out of Worldata InfoCenter, Inc. communications, used to promote our products and services at any time by using the unsubscribe mechanism within the email you receive, or you can use the opt-out contact info below.
Worldata InfoCenter, Inc. and the EU-U.S. Privacy Shield
Worldata InfoCenter, Inc. provides this web site as an informational source for its clients and prospective customers. Worldata InfoCenter, Inc. honors the privacy of its clients and visitors and will uphold the privacy policies set forth by the ANA.
This policy provides effective guidelines for honoring and respecting the privacy by:
Honoring a customer's request not to be included on in-house lists used for solicitations. A name may be removed simply by contacting us to do so. Providing customers with the ability to opt-out of data rental, sale or exchange. Adhering to a customer's request to opt-out of having their information included as part of a data rental, sale or exchange. Using one or more of the ANA Preference Services (mail, telemarketing or email) to suppress names from campaigns for individuals who have requested not to be included in these solicitation efforts. Our web site does not automatically recognize a caller or capture email addresses of visitors to our web site. However, if information is requested, we will collect personal information that is voluntarily provided, such as name, company and address for future in-house marketing purposes.
Worldata InfoCenter, Inc. is committed to upholding these standards and practices of both the ANA and its privacy commitments. Questions regarding this statements should be directed to our privacy coordinator at email@example.com with "Attn: Privacy" in the subject line.
If you feel that this site is not following its stated information policy, you may contact us at the above email address or by postal mail:
Worldata InfoCenter, Inc.
3000 N Military Trail
Boca Raton, FL 33431
Worldata InfoCenter, Inc. acknowledges that it is subject to the investigatory and enforcement powers of the Federal Trade Commission (FTC).
Individuals may request that Worldata InfoCenter, Inc. disclose what if any personal information is stored about that individual, and may request that the information be amended or corrected if it is deemed inaccurate. All such requests will be processed within a reasonable time frame.
With respect to security, Worldata has appropriate security measures in place in our physical facilities to protect against the loss, misuse or alteration of information that we have collected from you at our site.
Worldata InfoCenter, Inc. has training and other policies and procedures in place that are intended to cover and address the logical and physical security of our locations and the integrity and protection of electronic records stored in our systems.
Worldata InfoCenter, Inc. is required to disclose personal information in response to lawful requests by public authorities, including meeting national security or law enforcement requirements.
Participation in the European Union - United States (EU-US) Privacy Shield:
Worldata InfoCenter, Inc. participates in the EU-U.S. Privacy Shield framework, and therefore adheres to the Privacy Shield Principles. The Department of Commerce lists the participants in the Privacy Shield at https://www.privacyshield.gov
Worldata InfoCenter, Inc.’s participation in the Privacy Shield applies to all personal data that is subject to the Worldata InfoCenter Privacy Statement and is received from the European Union, European Economic Area. Worldata InfoCenter, Inc. will comply with the Privacy Shield Principles in respect of such personal data.
Worldata InfoCenter, Inc.’s accountability for personal data that it receives under the Privacy Shield and subsequently transfers to a third party is described in the Privacy Shield Principles. In particular, Worldata InfoCenter remains responsible and liable under the Privacy Shield Principles if third-party agents that it engages to process the personal data on its behalf do so in a manner inconsistent with the Principles, unless Worldata InfoCenter, Inc. proves that it is not responsible for the event giving rise to the damage.
Worldata InfoCenter, Inc. is committed to upholding these standards and practices of both the ANA and its privacy commitments. Questions regarding this policy should be directed to our privacy coordinator at firstname.lastname@example.org with "Attn: Privacy" in the subject line should you have a Privacy Shield-related (or general privacy-related) complaint.
Worldata InfoCenter, Inc. has further committed to refer unresolved Privacy Shield complaints to the ANAANA an alternative dispute resolution provider located in the United States. If you do not receive timely acknowledgment of your complaint from us, or if we have not resolved your complaint, please contact or visit the ANA for more information or to file a complaint. The services of the ANA are provided at no cost to you.
Further information about their programs is available at https://thedma.org/resources/consumer-resources/privacyshield-consumers/. In addition, consumers may register and/or otherwise contact the ANA Privacy Shield at:
Attn: Privacy Shield Program
225 Reinekers Lane, Suite 325
Alexandria, VA 22314
In the event complaints to Worldata InfoCenter, Inc. and ANA do not result in a satisfactory resolution, a consumer may seek binding arbitration. Additionally, if the consumer has a national security concern, you can contact the Ombudsperson at the Department of State at http://www.state.gov/s/ombudsman/.
Right to Access, Amend or Delete Personal Information
Individuals in the European Union (EU) have the right to know what personal data has been collected, if any. Upon request and as required by the Privacy Shield principles, Worldata InfoCenter, Inc. provides individuals to their personal data in order to correct or amend such data where inaccurate. To request complete deletion of personal data, individuals are required to submit a written request. Worldata InfoCenter, Inc. will endeavor to respond in a timely manner to all reasonable written requests to view, correct, amend, or delete all personal data of the requesting individual.
Worldata is Committed to CCPA (California Consumer Privacy Act)
Worldata is committed to implementing and adhering to prescribed compliance policies. California Civil Code Section 1798.83 permits customers who are California residents to request certain information regarding our disclosure of personal information to third parties for their direct marketing purposes. CCPA adherence is critical to the safety of not only California citizens, but to the global community as well.
Under Cal. Civ. Code Section 1798.135, a business that shares information with third parties is required not only to provide notice to Consumers of their rights, but the business must also post a clear and conspicuous link on its website titled “Do Not Sell My Personal Information” in order to allow Consumers to exercise their Opt-Out Rights. Consumers may authorize third parties, including companies, associations and activists, to exercise Opt-Out Rights on their behalf.
For more information on Cal. Civ. Code Section 1798.135, please CLICK HERE.
Do Not Sell My Personal Information: to exercise the opt-out rights of California residents, please CLICK HERE