1. Scope
This notice explains the information processed through the English-language pages of Supermed.pro and through direct business correspondence. It is a general transparency notice and does not replace a contract-specific data-processing agreement or jurisdiction-specific legal review.
2. Information you choose to send
The website does not currently contain an enquiry form. If you email Supermed, you decide what information to provide. Please do not send medical records, diagnoses, patient identifiers or other sensitive health information. The contact address is for business enquiries only.
3. Purpose and retention
Direct correspondence is used to understand and respond to an enquiry, prepare a proposal and manage an agreed business relationship. Information is retained only as long as reasonably required for those purposes and applicable record-keeping obligations.
4. Website measurement
The English edition uses Google Tag Manager to operate website measurement. Tracking settings must not be used to send names, email addresses, form text or health information to analytics or advertising services.
Where consent is required by the visitor’s jurisdiction, implementation should be reviewed and configured with an appropriate consent-management mechanism before campaigns or expanded tracking are launched.
5. Healthcare data
Marketing measurement for healthcare organisations can involve sensitive context. Any client implementation must be assessed separately for HIPAA, GDPR, UK GDPR or other applicable health and privacy requirements. Supermed does not represent a standard analytics configuration as universally compliant.
6. Your requests
You may ask about information held in direct correspondence, request correction or deletion, or raise a privacy concern by writing to info@supermed.pro. The response and available rights depend on the applicable law and the nature of the relationship.