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AC CREATIVITY S.r.l. — Manila Grace
Privacy Policy
Information notice on the processing of personal data — Arts. 13 and 14 GDPR
This information notice is provided pursuant to Articles 13 and 14 of Regulation (EU) 2016/679 ("GDPR") and Legislative Decree 196/2003 and subsequent amendments ("Privacy Code") to users interacting with the e-commerce website accessible at manilagrace.com (hereinafter the "Website"). It is understood that this information notice exclusively concerns the Website and not third-party websites that may be consulted through hyperlinks.
1. Data Controller
The Data Controller is AC Creativity S.r.l., with registered office in Via Gaetano Ferraiolo n. 62, 80047 San Giuseppe Vesuviano (NA), Tax Code/VAT no. 08332271215, in the person of its legal representative, Mr. Antonio Casillo (hereinafter also the "Controller" or the "Company").
To exercise the rights indicated below and for any question related to the processing of personal data, please write to privacy@manilagrace.com.
The Controller has not appointed a Data Protection Officer (DPO), as the mandatory requirements under Article 37 of the GDPR do not apply; however, an internal contact person has been identified for data protection issues.
2. Categories of data processed
In the context of using the Website, the Controller processes: navigation data (IP address, device identifiers, technical logs, data collected through cookies and similar technologies, as indicated in the Cookie Policy); identifying and contact data (name, surname, email address, phone number, delivery and billing address); order and payment data (purchased products, amounts, payment methods; card and payment instrument data are processed directly by payment service providers and are not stored by the Controller); account data of any reserved area; data relating to marketing preferences and interactions, where the data subject gives their consent.
3. Purposes of processing and legal bases
Personal data are processed for the purposes and on the legal bases indicated below:
|
Purpose |
Legal basis |
|
Conclusion and execution of the sales contract, management of orders, shipments, and assistance |
Performance of a contract — Art. 6, par. 1, lett. b) GDPR |
|
Account and reserved area management |
Performance of a contract — Art. 6, par. 1, lett. b) GDPR |
|
Responding to requests sent via the contact form |
Pre-contractual measures / performance of a contract — Art. 6, par. 1, lett. b) GDPR |
|
Fulfilment of legal, tax and accounting obligations |
Legal obligation — Art. 6, par. 1, lett. c) GDPR |
|
Sending promotional communications and newsletters |
Consent — Art. 6, par. 1, lett. a) GDPR |
|
Profiling and segmentation of marketing communications |
Consent — Art. 6, par. 1, lett. a) GDPR |
|
Cookies and statistical and marketing tracking tools |
Consent — Art. 6, par. 1, lett. a) GDPR (see Cookie Policy) |
|
Management of electronic withdrawal pursuant to Art. 54-bis of the Consumer Code and retention of relevant logs for evidentiary purposes |
Legal obligation — Art. 6, par. 1, lett. c) GDPR |
|
Ascertainment, exercise or defence of a right in judicial proceedings |
Legitimate interest — Art. 6, par. 1, lett. f) GDPR |
4. Processing methods and security
Processing is carried out primarily with electronic tools, according to logics related to the indicated purposes and with adequate technical and organizational measures to ensure the security, confidentiality, and integrity of the data pursuant to Art. 32 of the GDPR. The Website is built and managed on the Shopify platform.
5. Recipients and data processors
Data may be communicated to entities that operate on behalf of the Controller as data processors pursuant to Art. 28 of the GDPR, or to autonomous controllers, within the following categories:
|
Recipient category |
Entity |
|
E-commerce platform and hosting |
Shopify International Ltd (Ireland) and its sub-processors |
|
Management of email and newsletter campaigns |
Mailchimp (Intuit Inc.) |
|
Advertising, analysis and measurement |
Meta Platforms, Google, TikTok |
|
Messaging and support |
WhatsApp (Meta Platforms) |
|
Consent Management Platform (CMP) |
Complianz (by iubenda) |
|
Payment services |
Shopify Payments, PayPal, Klarna |
|
Shipping and logistics |
BRT S.p.A. (Italy), UPS (abroad) |
|
Website development and technical maintenance |
Turnup communication di Giovanni Pollio, VAT ID IT07090981213, Via Mario Fiore n. 14, 80129 Naples (NA) |
Data may also be communicated to the competent authorities in compliance with legal obligations. The updated list of data processors is available upon request from the Data Controller.
6. Data transfer to third countries
Some of the aforementioned entities may process personal data outside the European Economic Area. In such cases, the transfer takes place based on an adequacy decision by the European Commission, where applicable (including, for certified US entities, the EU-U.S. Data Privacy Framework), or by signing the Standard Contractual Clauses adopted by the European Commission, supplemented by additional measures where necessary.
7. Retention period
Data relating to orders and tax documentation are retained for the period required by law (normally 10 years). Account data is retained until the account is deleted by the user. Data processed for marketing purposes is retained until consent is revoked and, in any case, not beyond 24 months from the last useful interaction; data processed for profiling and segmentation purposes is retained for no more than 12 months, after which it is deleted or consent is renewed. Browsing data is retained for a limited period, unless it is necessary to ascertain crimes.
8. Data subjects' rights
The data subject may exercise the rights provided for in articles 15 to 22 of the GDPR at any time: access, rectification, erasure, restriction, portability, objection, as well as the right to withdraw consent at any time, without prejudice to the lawfulness of processing based on consent before its withdrawal. The data subject also has the right to lodge a complaint with the Italian Data Protection Authority (www.garanteprivacy.it).
9. Nature of data provision
The provision of data necessary for the execution of the contract and for legal obligations is mandatory; failure to provide it prevents the completion of the purchase. The provision of data for marketing purposes is optional and refusal does not affect the possibility of purchasing.
10. Changes
The Data Controller reserves the right to modify this policy; updated versions will be published on the Website.
Last updated: June 11, 2026.