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Video surveillance

Information for data subjects, pursuant to Article 12 et seq. GDPR
The process is listed in the controller's record of processing activities under ID 13.
A comprehensive risk analysis as well as a balancing of interests was carried out.

1. Responsibility for video surveillance

b4value.net GmbH
Trippstatter Street 122
67655 Kaiserslautern

2. Contact to the data protection officer

b4value.net GmbH
Datenschutzbeauftragter
Dieselstraße 1
67259 Grünstadt
This email address is being protected from spambots. You need JavaScript enabled to view it.

3 Purpose of the data processing

Camera surveillance is used to permanently monitor the interior of the property outside working hours. This is done in order to be able to identify possible perpetrators in the event of unauthorized intrusion. When positioning the cameras, care was taken to ensure that no public areas are included in the surveillance. Suitable technical measures have been taken to ensure that employees of b4value.net GmbH are not permanently monitored. This is ruled out by the fact that the first time the electric door opener is operated by an employee, the intruder alarm system is deactivated and thus the cameras are also switched off. Corresponding warning notices are displayed at all points where the monitored area can be entered.

4. Legal bases

Data processing takes place on the basis of the following legal basis: Art. 6 GDPR, lit. f, protection of legitimate interests. The legitimate interest is justified as follows
- Protection against damage caused by vandalism or criminal activity.
- Support in the investigation of perpetrators.
- The legitimate interest of the controller was weighed extensively against the rights of the data subjects worthy of protection.
- As potential data subjects are unlawfully present in the property in the event of image recording, the legitimate interest worthy of protection is classified as low here.
- The interests of the b4 employees worthy of protection were weighed up with great care. As the recording does not take place during working hours, we consider these to have been adequately assessed and taken into account.

5. Deletion period

The recorded data will be deleted after 72 hours unless an event has occurred that would require further storage. Such an event would be the occurrence of a loss event that would require an investigation and thus the use of the image data.

6. Data transmission

Image data is not transferred to unsafe third countries.
If it becomes necessary to investigate a loss event, the data will be transferred to the responsible investigating authorities by secure means.

7 Data sensitivity

Image recordings are definitely sensitive data in accordance with Art. 9 GDPR, as they allow conclusions to be drawn about the personal behavior of the persons observed.