Updated Mar 17, 2026 by PCF Group
PCF Group S.A. acts as the data controller for shareholders, proxies, and representatives, processing personal information to fulfill statutory obligations under the Polish Commercial Companies Code and the Act on Public Offerings.
Collected data includes identities, shareholding status, voting rights, and contact details, primarily sourced from the National Depository for Securities (KDPW) or directly from the individuals involved.
Data processing is a mandatory prerequisite for exercising shareholder rights and participating in corporate governance, despite the voluntary nature of data provision.
Personal information may be shared with third-party service providers, including cloud storage entities outside the European Economic Area, provided that standard contractual clauses are implemented.
Video monitoring records are subject to a strict three-month retention limit, while other shareholder data is maintained for the duration of the investment and extended as required for legal or accounting compliance.
Shareholders retain the right to access, rectify, or object to data processing, and the company confirms that no automated decision-making or profiling is utilized in these administrative procedures.
PCF Group S.A. acts as the data controller for shareholders, proxies, and representatives, processing personal information to fulfill statutory obligations under the Polish Commercial Companies Code and the Act on Public Offerings.
Collected data includes identities, shareholding status, voting rights, and contact details, primarily sourced from the National Depository for Securities (KDPW) or directly from the individuals involved.
Data processing is a mandatory prerequisite for exercising shareholder rights and participating in corporate governance, despite the voluntary nature of data provision.
Personal information may be shared with third-party service providers, including cloud storage entities outside the European Economic Area, provided that standard contractual clauses are implemented.
Video monitoring records are subject to a strict three-month retention limit, while other shareholder data is maintained for the duration of the investment and extended as required for legal or accounting compliance.
Shareholders retain the right to access, rectify, or object to data processing, and the company confirms that no automated decision-making or profiling is utilized in these administrative procedures.