LAKFA B.V. is convinced that the protection of and respect for the privacy of its stakeholders (employees, customers, accounts receivable and other relations is of great importance. Personal data are handled with the utmost care.
We cannot exercise our business without having to process certain personal data. We believe it is important that the processing of personal data is done in a manner that is in accordance with the existing safeguards for the protection of the privacy. Here we follow the existing legal rules for the protection of personal data, namely the 'Protection Act (DPA). LAKFA B.V. will in all cases meet the requirements of the Data Protection Act.

Reporting Obligation
The Data Protection Act (WBP) has a reporting obligation. This obligation implies that, in principle, all wholly or partly automatic processing of personal data must be registered with the Dutch Data Protection Authority (CBP) or by a data protection officer (FG), which is registered with the CBP. CBP/FG maintains a public register in which all (amendments) processing operation, along with a number of characteristics of handling such purpose or purposes, the species concerned and the categories of data. The public register of the CPB can be found via the website:

External links
This website may contain links to other websites. We are not responsible for the privacy practices or the content of such other sites. We encourage you to take note of the privacy statements on websites.

Rights with regard to the processing of personal data
LAKFA B.V. inform the person concerned, (legal) exceptions, or certain data are processed and will cooperate with the request to correct or supplement.
Requests for access to the personal data may be submitted in writing to the address of LAKFA B.V. citing Inspection Personal and by attaching a copy of a valid ID. Furthermore, the request must indicate his private address and the file number and put his signature, within 4 weeks, if the request to correct data or complete, it will third parties to whom the data have been disclosed to communicate the changes. LAKFA B.V. need not comply with the request if it is impossible or requires a proportionate effort.

Modification Privacy Statement
We can at any time with or without notice to change this Privacy Statement. We therefore advise you from time to time to consult this Privacy Statement so that you are familiar with any changes to this Privacy Statement.

Questions, comments or complaints
f you have questions that are not answered in this Privacy Statement, when you have suggestions or comments about the contents, or when you want to view or edit your personal information or complaints about the way LAKFA B.V. has dealt with your personal information, please visit our website for additional information, or let us know by sending a letter to LAKFA B.V. stating 'Privacy'.
This LAKFA B.V. can prevent problems or concerns persist.

Amsterdam, 2 januari 2016

Zeeburgerpad 116
1019 AE Amsterdam

Zeeburgerpad 116 | 1019 AE  Amsterdam | Cookies | Privacy | Tel +31 20 6947368 | Fax +31 20 6650808 | E-mail: