If you have any questions, complaints, or suggestions, please contact us through our Contact Channel by phone (only for Brazil)
0800 942 2102
Brazil | Árvore Comunicação
Janaina Massote
braziliannickel@arvorepress.com.br
+55 31 99609-5931
International | Camarco
braziliannickel@camarco.co.uk
+44 (0)20 3757 4980
Brazilian Nickel's dedicated reporting mechanism for the safe and confidential communication of concerns related to unethical conduct, violations of the Code of Conduct, company policies, or applicable legislation. Reports may be submitted anonymously. Access the Transparency Channel
Piauí Níquel Metais S.A.
DPO Service Provider: Martinelli Advogados
Responsible Contact: Vanessa Lima Nascimento
Contato: dpo@brnickel.com
Brazilian Nickel (BRN)
Brazilian Nickel (“BRN”) recognizes the importance of protecting personal data and is committed to processing this information in a transparent and secure manner, in compliance with the Brazilian General Data Protection Law (Law No. 13,709/2018 – LGPD).
For this reason, we have prepared this Privacy Notice (“Notice”), which aims to clearly and accessibly explain how your personal data is collected, used, stored, shared, and protected during your relationship with BRN.
In this Notice, you will find information about which personal data may be processed by BRN, the respective purposes, any potential sharing, how long the information may be stored, the technical and organizational measures adopted to protect your data, and your rights as a data subject and how to exercise them.
This Notice may be updated whenever there are changes to our personal data processing activities, changes in applicable legislation, or a need to improve the information provided herein. Whenever this occurs, the most recent version will be made available through BRN’s official channels. For this reason, we recommend consulting this document periodically.
If you have any questions about this Notice or the processing of your personal data, please contact us at dpo@brnickel.com.
This Privacy Notice applies to all users of our website (https://www.braziliannickel.com), our contractors, service providers and suppliers, job applicants, employees’ dependents, and visitors who have a relationship with BRN.
In addition, all BRN employees, service providers, and contractors must comply with this Notice to ensure the security and privacy of personal data throughout all stages of processing.
To facilitate understanding of this Notice, the main concepts used are defined below:
| Term | Acronym | Definition |
|---|---|---|
| Anonymization | - | Use of reasonable and available technical means at the time of processing through which data loses the possibility of being directly or indirectly associated with an individual. |
| Brazilian Data Protection Authority | ANPD | The federal regulatory authority responsible for overseeing, implementing, and enforcing compliance with the LGPD throughout Brazil. |
| Controller | - | An individual or legal entity, under public or private law, responsible for decisions regarding the processing of personal data. |
| Personal Data | PD | Information relating to an identified or identifiable natural person. |
| Data Protection Officer | DPO | A person appointed by BRN to act as a communication channel with data subjects and the competent government authorities. |
| Data Subject | - | Any identified or identifiable natural person to whom the processed personal data relates. |
| Processing | - | Any operation performed on personal data, including collection, production, receipt, classification, use, access, reproduction, transmission, distribution, processing, storage, archiving, deletion, assessment or control of information, modification, communication, transfer, dissemination, or extraction, among other acts, carried out with personal data under BRN’s custody. |
If you have applied for a position at Brazilian Nickel, we may process the following data:
| Purpose | Processed Data |
|---|---|
| Recruitment and Selection Process | Full name, professional history, language, education, HR information, CPF (Brazilian individual taxpayer ID), date of birth, address. |
The recruitment and selection process is conducted with the support of Gupy, a third-party platform specialized in recruitment and selection. Accordingly, part of the processing of your personal data will be carried out by this company, in accordance with its own applicable purposes and responsibilities.
We also recommend that you read Gupy’s Privacy Policy to understand how your personal data is collected, used, stored, and protected while using the platform. Gupy’s Privacy Policy is available through its online environment.
When you browse our website, we may record the activities you perform to improve your user experience, including collecting cookies and access log and IP information.
Regarding cookies, our website uses the following types of cookies:
You may block the use of cookies at any time by changing your internet browser settings. Your ability to limit cookies will be subject to your browser’s settings and limitations. You may also delete existing cookies through the same browser settings. If you choose to disable cookies, you may continue browsing the website, but some pages may not function properly or may cease to function.
In addition, BRN provides a Transparency Channel through its website. Personal data of reported individuals may be entered into the channel, as may the personal data of a complainant who chooses to identify themselves, with confidentiality of the information ensured. This data is processed for the purpose of investigating ethical and integrity violations involving our employees and business partners.
When using the Contact Us channel, BRN may process the personal data you provide, such as your name, telephone number, and other information included in your message, for the purpose of reviewing, responding to, and following up on your request, as well as maintaining the records necessary for service and relationship management.
Brazilian Nickel may process personal data of children and adolescents only when strictly necessary for the development of its activities and in compliance with applicable legislation, especially the Brazilian General Data Protection Law. Whenever applicable, processing will be carried out in accordance with the best interests of the child or adolescent and other applicable legal requirements.
Our website is not directed at children or adolescents and does not intentionally collect their personal data. If it is identified that personal data of children or adolescents has been collected inadvertently, Brazilian Nickel will take the appropriate measures to stop the processing and securely delete such information, except where its retention is required by legal or regulatory obligations.
Brazilian Nickel may share your personal data whenever such sharing is necessary for the development of its activities, compliance with legal or regulatory obligations, performance of contracts, the exercise of rights, or to meet other circumstances authorized by the Brazilian General Data Protection Law. In such situations, personal data may be shared, as applicable, with:
In addition, personal data may be accessed by BRN employees and authorized individuals exclusively to the extent necessary to perform their duties and in accordance with the principles of necessity and least privilege.
Whenever third parties process personal data on behalf of BRN, they will act in accordance with the instructions provided by the company and will be subject to contractual obligations regarding confidentiality, information security, and personal data protection, as well as compliance with the LGPD and other applicable regulations.
BRN adopts appropriate technical, administrative, and organizational measures to ensure that all sharing of personal data occurs securely, following adequate standards of protection against unauthorized access, loss, alteration, disclosure, or any improper or unlawful processing.
Brazilian Nickel does not commercialize, sell, or exchange personal data. All sharing occurs only when necessary to fulfill the purposes described in this Notice or under other circumstances authorized by applicable legislation.
Brazilian Nickel will retain personal data only for as long as necessary to fulfill the purposes for which it was collected, observing the principles of necessity and minimization established by the Brazilian General Data Protection Law (LGPD).
Where applicable, personal data may be retained for longer periods whenever necessary to comply with legal or regulatory obligations, exercise rights in judicial, administrative, or arbitration proceedings, or meet other retention circumstances authorized by applicable legislation.
Once the applicable retention period has ended and there is no legal basis justifying continued retention of the personal data, it will be securely deleted or anonymized, except where otherwise provided by applicable legislation.
In certain circumstances, Brazilian Nickel may transfer personal data internationally, including when using technology services, cloud storage, corporate systems, or service providers located outside Brazil or that process data outside Brazilian territory.
Whenever personal data is transferred internationally, Brazilian Nickel will adopt the measures necessary to ensure that the processing complies with the LGPD, particularly Articles 33 and following, as well as the mechanisms and requirements established by the ANPD, ensuring an adequate level of protection for personal data and respect for data subjects’ rights.
Brazilian Nickel adopts appropriate technical, administrative, and organizational measures to protect personal data against unauthorized access, destruction, loss, alteration, disclosure, or any improper, unlawful, or accidental processing. The security measures adopted include:
Although reasonable efforts are made to protect personal data, no security system is completely infallible. For this reason, Brazilian Nickel continuously monitors its processes and seeks to adopt applicable best practices to reduce risks and strengthen the protection of the information it processes.
You, as a data subject, may exercise the following rights at any time:
Please note: Your rights are not absolute and do not always apply in every situation, but we will always do everything we can to uphold your rights under applicable data protection laws. If your request is denied, we will explain the reasons why we are unable to fulfill it.
Brazilian Nickel may update this Privacy Notice at any time to reflect changes in its personal data processing activities, changes in applicable legislation, or improvements to its privacy and data protection practices.
We recommend consulting this Notice periodically so that you remain informed about how we process your data.