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DEFINITIONS

Bestway South Africa

“biometrics”: means a technique of personal identification that is based on physical, physiological or behavioural characterisation including blood typing, fingerprinting, DNA analysis, retinal scanning and voice recognition;
“Child”: means a natural person under the age of 18 years who is not legally competent, without the assistance of a competent person, to take any action or decision in respect of any matter concerning him- or herself;

“competent person”: means any person who is legally competent to consent to any action or decision being taken in respect of any matter concerning a child;

“data subject”: means the person to whom the personal information relates and for Bestway, this will include but not be limited to – visitors to the various Bestway websites, customers who have previously bought goods via Bestway, employees, external service suppliers, suppliers of products and all associates of Bestway;

“direct marketing”: means to approach a data subject, either in person or by mail or electronic communication, for the direct or indirect purpose of – a) Promoting or offering to supply, in the ordinary course of business of Bestway, legal services to the data subject; or b) Requesting the data subject to donate any kind for any reason;

“deputy information officers”: means CHARGE LUYANE GIBSON;

“electronic communication”: means any text, voice, sound or image message sent over an electronic communications network which is stored in the network or the recipient’s terminal equipment until it is collected by the recipient;

“filing system”: means any structured set of personal information which in the case of Bestway consists of physical files kept in the offices of Bestway together with the data file on the various software systems used by Bestway;

Bestway”: for purposes of this Policy document means the company registered as Bestway (PTY) LTD, Registration Number 2015/181834/07 which includes various shops within the Bestway brand such as, but not limited to ShopCandyShopAcerBestwayDJIBestway with operational offices situated at the district office park, 8 Kikuyu Rd Sunninghill, 2157;

“Information officer”: of Bestway will mean JD O’CONNOR;

“operator”: means a person who processes personal information for a responsible party in terms of a contract or mandate, without coming under the direct authority of that party;

“person”: means a natural person or a juristic person;

“Personal information”: means information relating to an identifiable, living, natural person, and where it is applicable and identifiable, existing juristic person, including, but not limited to: Information relating to the education or the medical, financial, criminal or employment history of the person; Any identifying number, symbol, e-mail address, telephone number, location information, online identifier or another particular assignment to the person; The biometric information of the person;  The personal opinions, views or preferences of the person; Correspondence sent by the person that would reveal the contents of the original correspondence if the message is of a personal or confidential nature; The views or opinions of another individual about the person; and  The name of the person if it appears with other personal information relating to the person or if the disclosure of the name itself would reveal information about the person;

‘‘private body’’ means—
(a) a natural person who carries or has carried on any trade, business or
profession, but only in such capacity;
(b) a partnership which carries or has carried on any trade, business or profession; or
(c) any former or existing juristic person, but excludes a public body

“processing”: means any operation or activity or any set of operations, whether or not by automatic means, concerning personal information, including – a) The collection, receipt, recording, organisation, collation, storage, updating or modification, retrieval, alteration, consultation or use; b) Dissemination using transmission, distribution or making available in any other form; or c) Merging, linking, as well as restriction, degradation, erasure or destruction of information;

“Promotion of Access to Information Act”: means the Promotion of Access to Information Act (PAIA), 2000 (Act No. 2 of 2000);

“public record”: means a record that is accessible in the public domain and which is in the possession of or under the control of a public body, whether or not it was created by that public body.

“record”: means any recorded information – a) Regardless of form or medium, including any of the following: I. Writing on any material; II. Information produced, recorded or stored using any tape-recorder, computer equipment, whether hardware or software or both, or another device, and any material subsequently derived from information so produced, recorded or stored; III. Label, marking or other writing that identifies or describes anything of which it forms part, or to which it is attached by any means; IV. Book, map, plan, graph, or drawing; V. Photograph, film, negative, tape or another device in which one or more visuals images are embodied to be capable, with or without the aid of some other equipment, of being reproduced; b) In the possession or under the control of a responsible party; and c) Regardless of when it came into existence;

“Regulator”: – means the Information Regulator established in terms of Section 39 of the POPIA;

“responsible party”: means a public or private body or any other person which, alone or in conjunction with others, determines the purpose of and means for processing personal information;

“restriction”: means to withhold from circulation, use or publication any personal information that forms part of a filing system, but not to delete or destroy such information;

“special personal information”: means personal information as referred to in Section 26 of the POPIA which includes Information relating to race, gender, sex, pregnancy, marital status, national, ethnic or social origin, colour, sexual orientation, age, physical or mental health, well-being, disability, religion, conscience, belief, culture, language and birth of the person;

“this Act”: means the Protection of Personal Information Act, No. 4 of 2013.

“unique identifier”: means any identifier that is assigned to a data subject and is used by a responsible party for the operations of that responsible party and that uniquely identifies that data subject about that responsible party.

INTRODUCTION

Bestway South Africa operates within the ONLINE SHOPPING space where customers can purchase third-party goods via the Bestway website, make payment for such purchases online and where after Bestway arranges for delivery of the goods to the customer.

Bestway deals with many role players in the online shopping space and in delivering its online services to its customers, always collects personal information from such customers and shares such information with third-party suppliers of Bestway.

Bestway South Africa acknowledges that most of its communications with customers, product suppliers and services suppliers are done electronically via the internet, via email and other electronic methods. In recognizing the international risk of data breach and also to ensure that lawful conditions exist surrounding its data subject’s information, Bestway accepts that all its South African-based data subjects’ Constitutional Right to Privacy is of utmost importance. Bestway further accepts that its data subjects based in other parts of the world are entitled to equal rights to privacy in terms of Regulations applicable to such data subjects in the countries in which they are based. As such, Bestway is committed to complying with South Africa’s POPIA. Bestway is further committed to the education of its data subjects in respect of their privacy rights and will make all operational amendments necessary.

OBJECTIVE 

Although is not possible to ensure 100% mitigation against data breaches, the objective of this Policy is to ensure adherence of Bestway to the provisions within POPIA together with its Regulations aimed at protecting all Bestway’ data subjects from harm as wide as possible by protecting their personal information, to ensure that data subjects’ Consent is obtained as provided for in POPIA, to ensure that data subjects’ information is not unlawfully shared with third parties unless Consent for such sharing is obtained, to stop identity fraud and generally to protect privacy. Bestway South Africa takes its responsibilities in terms of POPIA seriously and intends to continue developing its internal and external processes.

This Policy constitutes the EXTERNAL SET OF PRIVACY RULES applicable to the information collected and processed by Bestway and sets out the standard for suitable protection of personal information as required by POPIA.

  1. POPIA CORE PRINCIPLES

In its quest to ensure the protection of data subjects’ privacy, Bestway fully commits as follows:

Consent

When data subjects’ information is collected, processed or shared online or manually by Bestway during the process of Bestway delivering its online shopping services, Bestway recognizes its obligation to explain the reasons for the collection of information from the particular data subject/s and obtains the required Consents to process and where required the sharing of the information under such explanation and using the information for limited marketing purposes.

If personal information is used for any other reason than the original reason for it being collected, specific Consent for such purpose must be obtained from the data subject. SPECIAL PERSONAL INFORMATION may be collected from data subjects without specific Consent if:

Bestway has amended its standard documentation and online terms with references to the Act and will obtain all clients’ general Consent in each transaction.

COLLECTION, PROCESSING AND SHARING OF INFORMATION

 

Bestway South Africa collects and processes personal information from its data subjects for a variety of reasons and in a variety of ways. Customers who wish to place orders via the Bestway online platform may register as members or may purchase items as a guest of Bestway. In both instances, customers are obliged to complete the necessary information to successfully register. In this way, personal and special information is collected from data subjects who place online orders via the Bestway website and the information is then shared with the relevant delivery suppliers of Bestway to arrange delivery of the orders.

By submitting personal and special personal information details to Bestway, all data subjects acknowledge the following:

STORAGE OF INFORMATION

Bestway acknowledges the risks facing data subjects with the storage of personal and special personal information on the Bestway’ software systems as well as filing copies of the physical information sheets containing personal information physically in an office. To ensure that its best attempts are made to minimize data subjects from suffering the loss of personal information, misuse or unauthorised alteration of information, unauthorized access or disclosure of personal information generally, it will:

DISPOSAL OF DATA SUBJECTS’ INFORMATION

Bestway South Africa is responsible to ensure that necessary records and documents of their data subjects are adequately protected and maintained to ensure that records that are no longer needed or are of no value are disposed of at the proper time. These rules apply to all documents which are collected, processed or stored by Bestway and include but are not limited to documents in paper and electronic format, for example, e-mail, web and text files, PDF documents etc.

Bestway South Africa does not discard or dispose of the telephone numbers, email addresses of data subjects and electronic communications with data subjects with whom it has previously dealt but will do so on request by the data subject.

Secure disposal maintains data security and supports compliance with this Bestway policy. Bestway acknowledges that electronic devices and media can hold vast amounts of information, some of which can linger indefinitely.

INTERNET AND CYBER TECHNOLOGY

The following clauses constitute a summary of the terms contained in the INTERNAL IT/EMAIL/CYBER SECURITY POLICY which applies to all employees when using the Bestway internet and email services.

 

The repercussions of misuse of Bestway systems can be severe. Potential damage includes, but is not limited to, malware infection (e.g. computer viruses), legal and financial penalties for data leakage and lost productivity resulting from network downtime.

To ensure that Bestway’ IT systems are not misused, everyone who uses or has access to Bestway’ systems has received training and internal guidelines to meet the following five high-level IT Security requirements:

Every user of Bestway’ IT systems takes responsible for exercising good judgment regarding reasonable personal use.

Bestway undertakes to ensure that logging into the IT system and software packages is password controlled and shall exercise all caution in allowing unauthorized access to the password. It is a further undertaking that the password/s shall be reviewable from time to time but in particular where GOOGLE-based products are used and linked (such as Facebook, Whatsapp and GMAIL-based domains).

Bestway acknowledges that most of its communications are conducted via email and instant messaging (IM). Email and IM may contain extremely sensitive and confidential FIRM information, so the information involved must be appropriately protected. In addition, email and IM are potential sources of spam, social engineering attacks and malware, so Bestway must be protected as completely as possible from these threats. The misuse of email and IM can pose many legal, privacy and security risks, so users need to be aware of the appropriate use of electronic communications.

It is of use to note that all users of Bestway’ email system are prohibited from using email to:

The purpose of these email and IM rules is to ensure that information sent or received via the Bestway’ IT systems are appropriately protected, that these systems do not introduce undue security risks to Bestway and that users are made aware of what Bestway deem as acceptable and unacceptable use of its email and IM.

Many users do not recognize that mobile devices represent a threat to IT and data security. As a result, they often do not apply the same level of security and data protection as they would on other devices such as desktop or laptop computers. This policy outlines Bestway’ requirements for safeguarding the physical and data security of mobile devices such as smartphones, tablets, and other mobile devices that PCs and Notebooks.

 

Usage Data Usage Data has collected automatically when using the internet services of Bestway. Usage Data may include information such as data subjects’ device’s internet protocol address (e.g. IP address), browser type, browser version, details of the pages of Bestway’ website that are visited by data subjects, the time and date of the website visit, the time spent on those pages, unique device identifiers and other diagnostic data. When data subjects access the website services of Bestway by or through a mobile device, Bestway South Africa may collect certain information automatically, including, but not limited to, the type of mobile device used by the data subject, unique ID, the IP address of the mobile device, the mobile operating system, the type of mobile Internet browser used, unique device identifiers and other diagnostic data. Bestway may also collect information that the user’s browser sends whenever Bestway’ website is visited.

Cookies and similar tracking technologies are used to track the activity on BRAND DDEALS’website and store certain information. Tracking technologies used are beacons, tags, and scripts to collect and track information and improve and analyze the website’s efficiency. The technologies which may be used to track may include:

 

Data subjects who use the Bestway website will be subject to the general website terms and conditions available on the website landing page. Customers who register on the Bestway online platforms confirm that they have read through and understand the terms and conditions associated with the usage of the website.

  1. THIRD-PARTY OPERATORS

 

Bestway recognizes that, in fulfilling its service offering to its customer base and to operate efficiently, it is necessary at times to share data subjects’ personal and special personal information with third parties for specific reasons related to Bestway’ service delivery. As referenced in clauses 5 and 6 above, Bestway will obtain the necessary Consent where required from the particular data subject.

Bestway shall moreover and where possible enter into an OPERATORS’ AGREEMENT with the relevant third party with which Bestway shares data subjects’ information to ensure that the third party operator treats the personal information of Bestway’ data subjects responsibly and by the provisions contained in the Act and Regulations thereto. Bestway shall, where possible request copies of the third party operators’ POPIA Policy, rules, internet rules and details of the third party’s Information Officer.

BANKING DETAILS

When orders are placed, customers have a choice of payment methods available to them for payment of their order/s via EFT, debit/credit card payments or paygate options such as Payfast, PayU, Payflex, and Walletdoc. Customers are subject to the terms and conditions related to their personal and special personal information which they complete on these payment platforms of such platform suppliers and cannot hold Bestway liable for a data breach which may occur on any one of these payment platforms.

DIRECT MARKETING

Bestway is committed to not sharing data subjects’ information with third parties for the sole purpose of such third-party marketing to such data subjects. If any associated third party uses the data subjects’ information shared by Bestway with such third party in the fulfilment of its legal services, Bestway takes no responsibility for any consequences suffered by the data subject which may have been caused by the third party’s actions.

Bestway sends out regular bulk emails to its database of existing customers. These bulk emails contain new product offerings and other relevant information related to the Bestway service. These bulk emails will always contain the required OPTING OUT/UNSUBSCRIBE options which allow the recipients of the emails to request the removal of their details from these bulk emails.

DATA CLASSIFICATION

All of Bestway’ employees share in the responsibility for ensuring that Bestway’ information assets receive an appropriate level of protection as set out hereunder:

Information Description

Examples

Category

Unclassified Public

Information is not confidential and can be made public without any implications for Bestway

Product brochures widely distributed · Information widely available in the public domain, including publicly available website areas of Bestway

Sample downloads of Bestway’ software that is for Sale · Financial reports required by regulatory authorities · Newsletters for external transmission

Proprietary

Information is restricted to management-approved internal access and protected from external access. Unauthorized access could influence Bestway’ operational effectiveness, cause an important financial loss, provide a significant gain to a competitor, or cause a major drop in customer confidence. Information integrity is vital. 

Passwords and information on corporate security procedures

Know-how used to process client information Standard Operating Procedures used in all parts of Bestway’ activities

All software codes developed by Bestway, whether used internally or sold to clients client client

Cclient centennial Data

Information collected and used by Bestway in the conduct of its business to employ people, tog and fulfil client mandates, and to manage all aspects of corporate finance. Access to this information is very restricted within Bestway. The highest possible levels of integrity, confidentiality, and restricted availability are vital. 

Salaries and other personnel data

Accounting data and internal financial reports Confidential customer business data and confidential contracts

Non-disclosure agreements with clients\vendors Company business plans

  1. RIGHTS OF THE DATA SUBJECT- FORMS 1 & 2 ATTACHED

COVID 19

Bestway South Africa has implemented and continues to apply its Workplace Risk Assessment measures in line with accepted Occupational Health and Safety Guidelines issued by the Departments of Labour and Health and in terms of the Regulations and Directions to the Disaster Management Act. Concerning these assessment measures, Bestway South Africa is and will remain entitled to oblige employees and other visitors to complete a Covid 19 Risk Assessment form upon entering the Bestway offices provided that the personal and special personal information required to be completed is necessary and limited to the purposes of assessing the risk of Covid 19 exposure. Bestway may also, where required by statute, share the information with the Departments of Labour and Health, especially in the event of someone testing positive and/or where a significant increase of risk exists in the workplace and offices. Bestway’ delivery service providers will follow their own Covid 19 protocols when making delivery of an order and Bestway will not be liable for implementation and enforcement of such third-party measures.

With the implementation of the Bestway South AfricaWorkplace Vaccination program, further employee and other relevant data subjects’ personal and medical information may be collected and processed by Bestway and may be shared with Regulated third parties and internally if the sharing of the information complies with the provisions for the Bestway Vaccination Program Policies.

INFORMATION OFFICER

INFORMATION OFFICER: JD O’Connor

Contact details 083 456 7671 / 010 020 8600

Email jd@brandhubb.com

Postal Address: PO Box 2295, Sunninghill,  2157

Street Address: The District Office Park, 8 Kikuyu Road, Sunninghill, 2191

DEPUTY INFORMATION OFFICERS: Charne Luayne Gibson

Contact details 010 020 8600

Email charne@brandhubb.com

Postal Address: PO Box 2295, Sunninghill,  2157

Street Address: The District Office Park, 8 Kikuyu Road, Sunninghill, 2191

 

 

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