Lone Star Global Acquisitions, LLC and its US affiliates enumerated in our Privacy Shield certification (collectively, “Lone Star”) have certified to the EU-U.S. Privacy Shield (“Privacy Shield”) Principles for the processing of personal information related to natural persons from the European Union (“Data Subjects”). For more information about the Privacy Shield, and to view Lone Star’s certification, please visit https://www.privacyshield.gov.
In the course of running our business and performing services for our clients, Lone Star obtains and processes certain personal information about Data Subjects, including without limitation, names, addresses, assets, liabilities, income, employers, bank account information, family member information, net worth, date of birth, and other information as required to comply with applicable laws or regulations. Lone Star uses this personal information to conduct due diligence, administer investments made by our clients, and comply with legal and regulatory obligations. Lone Star may share this information with third parties, including our clients; service providers, including but not limited to legal advisors, auditors, and accountants; financial institutions; insurance companies; and judicial, regulatory or governmental authorities, for the purposes indicated in this Policy. By using the email address below, Data Subjects may opt out of disclosures of their information by Lone Star either (i) to third parties or (ii) if the information is used for purposes which are materially different from the purposes for which it was originally collected or subsequently authorized by the Data Subject. With respect to sensitive information, Data Subjects may opt-in to disclosures either (i) to third parties or (ii) if the information is used for purposes which are different from the purposes for which it was originally collected or subsequently authorized by the Data Subject. If Lone Star shares personal information with certain third parties, Lone Star may be liable if those parties process that information in a manner that is inconsistent with the Privacy Shield Principles. Lone Star may be required to disclose personal information in response to lawful requests by public authorities, including to meet national security or law enforcement requirements.
Data Subjects may contact us regarding the Privacy Shield, including requests to access their personal information that is retained by Lone Star, at email@example.com. Lone Star has designated JAMS to address Privacy Shield complaints and provide appropriate recourse free of charge to the Data Subject. Data Subjects may contact JAMS at https://www.jamsadr.com/eu-us-privacy-shield. In certain circumstances, Data Subjects may be able to invoke binding arbitration with respect to adherence to the Privacy Shield. Lone Star is subject to the investigatory and enforcement powers of the U.S. Federal Trade Commission.