If you have an inquiry about our privacy policy, please contact: Marc Hirschel / Marketing & Sales Administration
8 Holley Street Lakeville, CT 06039 Phone: 860.435.7500 Fax: 860.435.0025
Modern information and communication technologies play a fundamental role in the activities of an organization like McKenzie, Becker & Stevens, Inc, which operates at an international level. We are based in the United States. Our principle activities are Commercial Debt Collection, A/R outsourcing.
Protecting your privacy and your personal data is an important aspect of the way we create, organize and implement our activities on-line and off-line.
Our privacy policy covers McKenzie, Becker & Stevens, Inc. and its website:
Organization: McKenzie, Becker & Stevens, Inc Address: 8 Holley Street P.O. Box 1967 Lakeville, CT 06039 USA
URL: www.mbsinc.net Physical Location: USA
ABOUT US
PRIVACY COMPLIANCE
PRIVACY SUPPORT
McKenzie, Becker & Stevens privacy policy respects the Privacy Principles of the OECD Guidelines.
LINKAGE CHARACTERISTICS
Our website enables you to post information to be accessed by others. When you use these services, your data may be collected by other visitors.
PURPOSE SPECIFICATIONS AND DATA COLLECTION
You can access our website home page and browse our site - www.mbsinc.net without disclosing personal data. We collect your personal data only with your knowledge and consent.
Our website logs information about you that is automatically recognized by the web server, such as IP address and domain name. This information is utilized only for the purposes of creating aggregate statistical reports, to detect errors at the website, and for security reasons.
Except for this automatically logged information, we do not collect any other data about you. We collect the personal data that you volunteer on our Information Request form, or by email. All of our employees and processors who have access to your personal data and are associated with the processing of that data are obliged to respect the confidentiality of your personal data.
COOKIES
We do not use cookies on our website.
SECURITY
PRIVACY PRINCIPLES OF THE OECD GUIDELINES / COLLECTION LIMITATION PRINCIPLE
DATA QUALITY PRINCIPLE
INDIVIDUAL PARTICIPATION / ACCESS
DISCLOSURE
We do not disclose your personal information data to any third party. We ensure that your personal data will not be disclosed to State institutions and authorities except if required by law or other regulation.
You can ask us whether we are keeping personal data about you by sending an email to marc@mbsinc.net. Upon request, we will provide this information within a week without any charge. We allow you to change the data that we hold about you, by erasure, rectification, completion, and/or amendment.
We have implemented technology and security policies, rules and measures to protect the personal data that we have under our control from: unauthorized access, improper use, alteration, unlawful or accidental destruction, and/or accidental loss.
There should be limits to the collection of personal data and any such data should be obtained by lawful and fair means and where appropriate, with the knowledge or consent of the data subject.
Personal data should be relevant to the purposes for which they are to be used and to the extent necessary for those purposes, should be accurate, complete and kept up-to-date.
PURPOSE SPECIFICATION PRINCIPLE
The purposes for which personal data are collected should be specified not later than at the time of data collection and the subsequent use limited to the fulfillment of those purposes or such others as are not incompatible with those purposes and as are specified on each occasion of such purpose.
USE LIMITATION PRINCIPLE
Personal data should not be disclosed, made available or otherwise used for purposes other than those specified in accordance with Paragraph 9 [Purpose Specification Principle - above] of the OECD Privacy Guidelines except: a) with the consent of the data subject; or b) by the authority of law.
SECURITY SAFEGUARDS PRINCIPLE
Personal data should be protected by reasonable security safeguards against such risks as loss or unauthorized access, destruction, use, modification or disclosure of data.
OPENNESS PRINCIPLE
There should be a general policy of openness about developments, practices and policies with respect to personal data. Means should be readily available of establishing the existence and nature of personal data, and the main purposes of their use, as well as the identity and usual residence of the Data Controller.
INDIVIDUAL PARTICIPATION PRINCIPLE
There should be a general policy of openness about developments, practices and policies with respect to personal data. Means should be readily available of establishing the existence and nature of personal data, and the main purposes of their use, as well as the identity and usual residence of the Data Controller.
ACCOUNTABILITY PRINCIPLES
A Data Controller should be accountable for complying with measures which give effect to the principles stated above.
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P.O. Box 817
Sharon, CT 06069
Tel. (860) 435-7500
Fax: (860) 435-0025