Company information pending confirmation: full legal name, providers, retention and transfer arrangements. These notices are not final until that information is completed.
Controller and contact
The site uses the Günrob brand. Data protection contact channels are fatih@gunrob.com, +90 555 079 46 09 and İstasyon Mahallesi Yarış Çıkmazı Sokak İstim Sanayi Sitesi No:305 Kat:2 Tuzla / İstanbul. The full legal name is unverified; the contact address is not assumed to be the registered headquarters.
This text covers visitors and form users. It is not a final transparency notice until controller identity and missing operational details are completed.
Data and collection
This includes names, contact, business, needs, operations and project descriptions you enter electronically, plus context from product/solution links. Language and optional drafts/preferences are kept in the browser. Opening the map connects to Google.
If measurement is activated and you permit it, aggregate page counts may be grouped by day, allowed page and predefined campaign code. Measurement is currently off. Form content and identity information are excluded. Special-category data and identity copies are not requested; remove unnecessary personal information from technical files.
Purposes
Forms prepare messages or technical summaries for review. Language supports your selected language; optional drafts let you resume; privacy records remember permission or rejection. The map displays the location. Planned opt-in measurement assesses page and campaign interest through totals.
Current form buttons do not submit information to the company. You send email yourself and attach files separately. The company's actual use and retention of received email and project records require confirmation.
Legal grounds and consent
Transparency means explaining data use; reading a notice does not permit every activity. Browsing and product access do not require blanket consent. Optional measurement has a separate choice and rejection does not prevent browsing.
Legal grounds for actual company activities must be finalised for each purpose. Contract necessity, legal obligation and legitimate interests do not automatically cover everything. A preference control does not replace assessment of legal grounds or transfers.
Recipients and transfers
Opening an email draft passes content to your email application; maps and WhatsApp links connect to the respective external service. No third-party advertising/analytics code is installed. First-party measurement still depends on hosting; providers and recipient groups await confirmation.
International transfers separately require compliance with current Article 9 conditions. A click does not create an adequacy decision or appropriate safeguard. No country, agreement or safeguard is asserted before the actual transfer mechanism is established.
Retention and deletion
Language, privacy preferences and optional drafts do not expire automatically; use the relevant controls or browser settings to remove them. No company-approved measurement retention period exists yet, so collection remains off. Company email retention also needs verification.
Once all processing conditions cease to apply, the legislation requires erasure, destruction or anonymisation. Immediate deletion of all records cannot be promised without assessing legal retention obligations. Local clearing does not delete sent email or external-service records.
Your rights
Under Article 11 you may ask whether your data is processed, request details, purposes and appropriate use, and learn domestic/overseas recipients. You may seek correction of incomplete or inaccurate data, erasure/destruction where conditions apply, and notification of relevant actions to recipients.
Rights also include objection to an adverse outcome arising solely from automated analysis and compensation for unlawful-processing damage. This site has no automated decision function significantly affecting individuals.
Requests, verification and deadlines
The helper below prepares an email draft, not delivery or a formal registration. Identify the records and right concerned; explain if acting for someone else. Do not send an identity copy initially. Verification, where needed, should be proportionate.
Formal requests must meet the Communiqué's methods and required information. It provides for written requests, registered electronic mail, secure electronic/mobile signature, a previously notified registered email or a dedicated application; ordinary email may not alone meet the procedure. Requests require a prompt response within thirty days. Following a controller request, rejection, inadequate response or silence may allow a Board complaint within thirty days of learning the response and in any event sixty days from the original request.
Contact us about your personal data
fatih@gunrob.com · +90 555 079 46 09
İstasyon Mahallesi Yarış Çıkmazı Sokak İstim Sanayi Sitesi No:305 Kat:2 Tuzla / İstanbulThis form prepares an email draft; it does not register or deliver your request. Review and send it in your email application.
Sources and related notices
KVKK — Aydınlatma / Transparency
KVKK — Güncel aktarım şartları / International transfers
KVKK — Haklar / Individual rights