Guest@58
Privacy Policy
POPI & CPA — Protection of Personal Information & Direct Marketing
The Protection of Personal Information Act, Act 4 of 2013 (“POPI”) and the Consumer Protection Act, Act 68 of 2008 (“the CPA”) prescribe requirements to be met by the parties, as set out below.
By completing and signing the Guest Registration Card of Guest at 58 (Pty) Ltd, trading as Guest@58 (“the Client”), the Client gives voluntary, specific and informed consent that Guest@58 may:
- process the Client’s personal information (as defined in POPI), including the collection, storage and dissemination of that information;
- share the Client’s personal information with third parties who provide services and products ancillary to those obtained, or to be obtained, from Guest@58;
- approach the Client with business opportunities, promotional events, special offers and sales relating to any merchandise Guest@58 may be selling or promoting at the time, whether by direct marketing (as defined in POPI) or otherwise.
The Client warrants that such information is accurate, relevant, up to date and complete, and undertakes to advise Guest@58 promptly and in writing of any material change to that information.
The parties agree that:
- this consent remains in full force and effect until withdrawn in writing by the Client;
- the Client may withdraw or qualify this consent by advising Guest@58 in writing at any time;
- the Client may, at any time and in writing, amend their personal information or request Guest@58 to delete it; such amendment or deletion must be carried out promptly, and in the case of deletion, Guest@58 must provide adequate proof that the information has been deleted.
The Client further gives voluntary, specific and informed consent that Guest@58 may send direct marketing (as defined in the CPA), subject to the following:
- the Client may at any time pre-emptively block any such communication;
- the Client may at any time request that Guest@58 discontinue any form of direct marketing, at Guest@58’s expense;
- direct marketing may only be communicated to the Client during the hours authorised under the CPA regulations;
- the content of any communication must relate only to goods or services similar to those the Client has purchased from Guest@58 or its suppliers;
- each direct marketing communication must give the Client a reasonable opportunity to object — free of charge and without unnecessary formality — to the use of their electronic details.