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PRIVACY POLICY
THE IMPORTANCE OF LGPD

The LGPD, the General Data Protection Law (13.709/2018), aims to guarantee and protect people's right to privacy, as well as provide greater transparency regarding the processing of their personal information.

 

The ANPD, the National Data Protection Authority, is the Brazilian Federal Government institution responsible for ensuring the protection of personal data and for regulating, implementing, and monitoring compliance with the LGPD in Brazil.

RESPONSIBILITIES AND COMMITMENT

VERUS BRASIL, as a Personal Data Processing Agent, is committed to complying with current legislation and regulations related to the LGPD, as well as safeguarding and protecting the privacy of personal data involving its customers, employees, suppliers, partners, and other entities with which it has a business relationship.

 

VERUS BRASIL management and its data processors (employees, third parties, etc.) are committed to safeguarding the personal information under their responsibility and within their reach.

 

If the ANPD, the National Data Protection Authority, requests the adoption of measures or improvements regarding the data processing performed by Verus, we commit to adopting them as quickly as possible.

 

Failure to comply with the terms of this policy and its guidelines by VERUS BRASIL operators may result in sanctions provided for by law.

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BASIC GUIDELINES

PERSONAL DATA PROCESSING OFFICER or DPO - Data Protection Officer:

Verus, as DATA CONTROLLER and DATA OPERATOR, defines in its functional organization chart who is the person in charge of processing personal data, who is the individual responsible for ensuring the Verus Brasil organization's compliance with the LGPD (Art. 41).

COLLECTION OF PERSONAL DATA:

Verus requests personal data when it is strictly necessary for the execution of its operation, in other words, commercial prospecting, technical support to customers, project execution, compliance with tax and labor legislation.

USE OF PERSONAL DATA:

The personal data collected by Verus will be used and stored for the necessary time as established in the PERSONAL DATA COLLECTION guideline and may be changed or deleted at any time upon request by email from the data subject to Verus' DPO (Data Protection Officer) and will be responded to as soon as possible.

TRANSPARENCY IN THE USE OF PERSONAL DATA:

The data subject has the right to, at any time, request clarification on what actions and processing will be carried out by Verus with his/her personal information.

PERSONAL DATA SECURITY:

Verus takes the following measures to keep data secure: a) only authorized individuals have access to collected personal data; b) access to personal information by Verus employees is protected by confidentiality agreements; c) personal data is stored in a secure and protected environment.

SECURITY INCIDENTS:

In the event of a security incident that may generate significant risk or damage (art. 48 of the LGPD), the Data Controller will report the incident as soon as possible to the ANPD and all affected parties, and will take all possible measures to eliminate the risk or damage. On this subject, also consult the Verus Information Security Policy.

DATA CONTROLLER ACCESS CHANNELS:

If the data subject has any questions about how their personal data is processed by Verus, we provide the following communication channels:

  1. head foreman: Marcos Antônio Gonçalves

  2. e-mail: lgpd@verusbrasil.com.br

  3. telephone: +55 (11) 3515-7400 / 3515-7411

  4. business address: in person or by mail

Rua Augusta, 1836, 3º andar, Cerqueira César, São Paulo, SP,

CEP 01.412-000

V3 - Updated June 2025

INFORMATION SECURITY POLICY

This PRIVACY POLICY is complemented by the INFORMATION SECURITY POLICY (PSI), which defines the Basic Guidelines that seek to ensure the confidentiality, availability and integrity of information in our business.

Access the Verus Brasil PSI here 

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