Notice Update Notice for Privacy Policy Change
- MIR4
- 22.01.25
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From my battle to our war, MMORPG MIR4
Greetings, This is MIR4.
There will be an update on our Privacy Policy to protect your personal information rightfully, so please check the changed articles before using our service.
Changed Privacy Policy will take into effect from February 3rd.
Please refer to the information below for more details of the change.
■ Update Notice for Privacy Policy Change
- Appliable Date: Thursday, February 3rd 2022
- Changed details
Past Privacy Policy | Changed Privacy Policy |
Article 11. Lawful processing of personal information under GDPR Processing personal information by the Company shall be lawful only if and to the extent that at least one of the following applies. • A user has given consent to the processing of his or her personal information. • Processing is necessary for the performance of a contract to which a user is party or in order to take steps at the request of a user prior to entering into a contract: - Member management, identification, etc. - Performance of a contract in relation to providing the services required by users, payment and settlement of fees, etc. • Processing is necessary for compliance with a legal obligation to which the Company is subject - Compliance with relevant law, regulations, legal proceedings, requests by the government • Processing is necessary in order to protect the vital interests of users, or other natural persons - Detection of, prevention of, and response to fraud, abuse, security risks, and technical issues that may harm users or other natural persons • Processing is necessary for the performance of a task carried out in the public interest or in the excise of official authority vested in the Company • Processing is necessary for the purposes of the legitimate interests pursued by the Company or by a third party (except where such interests are overridden by the interests or fundamental rights and freedoms of the data subject which require protection of personal data, in particular where the data subject is a child). User’s right when applying GDPR The users or their legal representatives, as main agents of the information, may exercise the rights regarding the collection, use and sharing of personal information by the Company. | Article 11. Lawful processing of personal information under GDPR Processing personal information by the Company shall be lawful only if and to the extent that at least one of the following applies. • A user has given consent to the processing of his or her personal information. • Processing is necessary for the performance of a contract to which a user is party or in order to take steps at the request of a user prior to entering into a contract: - Member management, identification, etc. - Performance of a contract in relation to providing the services required by users, payment and settlement of fees, etc. • Processing is necessary for compliance with a legal obligation to which the Company is subject - Compliance with relevant law, regulations, legal proceedings, requests by the government • Processing is necessary in order to protect the vital interests of users, or other natural persons - Detection of, prevention of, and response to fraud, abuse, security risks, and technical issues that may harm users or other natural persons • Processing is necessary for the performance of a task carried out in the public interest or in the excise of official authority vested in the Company • Processing is necessary for the purposes of the legitimate interests pursued by the Company or by a third party (except where such interests are overridden by the interests or fundamental rights and freedoms of the data subject which require protection of personal data, in particular where the data subject is a child). User’s right when applying GDPR The users or their legal representatives, as main agents of the information, may exercise the rights regarding the collection, use and sharing of personal information by the Company. Details can be found in "Article 12. rights and exercise method of user and legal guardian”, and for requests for rights, please contact to 'Article 16. Personal Information Protection Manager’ |
Article 16. Personal Information Protection Manager The company is designating a personal information protection manager as follows to protect the customer’s personal information and process relevant complaints. Personal Information Protection Manager · Name: Eunkwang · Telephone: 02-3709-2000 · Fax: 02-3709-2007 · Mail: privacy@wemade.com
Wemade Co., Ltd · Country: South Korea · Address: 49, Daewangpangyo-ro 644beon-gil, Bundang-gu, Seongnam-si, Gyeonggi-do, Republic of Korea · Mail: support@wemade.com | Article 16. Personal Information Protection Manager The company is designating a personal information protection manager as follows to protect the customer’s personal information and process relevant complaints. Position : Personal Information Protection Manager Mail : privacy@wemade.com We have our designated agent in EU in case of GDPR, and the contact information of our EU agent are as below. Company Name : VeraSafe Netherlands BV Address : Keizersgracht 391 A 1016 EJ Amsterdam The Netherlands Contact : https://verasafe.com/public-resources/contact-data-protection-representative We have our designated agent in UK in case of UK GDPR, and the contact information of our UK agent are as below. Company Name : VeraSafe United Kingdom Ltd. Address : 37 Albert Embankment London SE1 7TL United Kingdom Contact : https://verasafe.com/public-resources/contact-data-protection-representative |
Thank you