Version: 2026-07-09
Download as textPrivacy Policy
Version: July 9, 2026
The protection of your personal data is important to us. In this Privacy Policy, we inform you about which personal data we process in connection with BeautySpaceBooking, for what purposes this occurs, on what legal bases the processing is based, and what rights you have.
This Privacy Policy may be opened, saved, and downloaded at any time.
1. Controller
The controller for the processing of personal data in connection with BeautySpaceBooking is:
ID Partner GmbH
Weyringergasse 15–17/2/2
1040 Vienna
Austria
Company register number: FN 534464 b
VAT ID number: ATU75696702
Managing director: Ihar Danilchyk
Email: support@beautyspacebooking.com
Website: beautyspacebooking.com
Hereinafter also referred to as "BeautySpaceBooking", "we", or "us".
2. Scope
This Privacy Policy applies to the processing of personal data in connection with:
- the website beautyspacebooking.com;
- registration and login;
- user accounts and user profiles;
- Host profiles and beauty professional profiles;
- creation and publication of offers;
- search and filter functions;
- bookings and cancellations;
- payment processing and payouts;
- messages and communication;
- reviews;
- support requests;
- complaints and damage cases;
- newsletters, where offered and subscribed;
- cookies and comparable technologies;
other services of BeautySpaceBooking.
BeautySpaceBooking is a B2B platform and is directed exclusively at businesses, self-employed persons, and users acting commercially or professionally.
Personal data may in particular be processed in respect of sole proprietors, self-employed persons, managing directors, employees, representatives, contact persons, and beneficial owners.
3. Types of data processed
Depending on how BeautySpaceBooking is used, the data described below in particular may be processed.
3.1 Master data
- First name and last name;
- company name;
- legal form;
- business address;
- billing address;
- user role;
- user ID;
- preferred language;
date of birth, where required for verification or payment processing.
3.2 Company data
- Company register or commercial register number;
- VAT or sales tax identification number;
- tax number, where required;
- trade or professional authorization;
- company evidence;
- information on persons authorized to represent;
- information on beneficial owners;
company and business locations.
3.3 Contact data
- email address;
- telephone number;
- business address;
- communication language;
other voluntarily provided contact data.
3.4 Identity and verification data
Where required for use, payment processing, or verification, the following data in particular may be
processed:
- identity and ID data;
- trade and professional authorizations;
- training and qualification evidence;
- insurance evidence;
- ownership, lease, tenancy, or use evidence;
- consents of owners or main landlords;
- official permits;
bank and payout data.
3.5 Offer and location data
- address and location of the offered beauty workspace;
- descriptions;
- photos and videos;
- room and equipment information;
- prices;
- availability;
- house rules;
- cancellation terms;
- permitted and excluded activities;
- accessibility information;
access and opening hours.
The full address of a beauty workspace is not necessarily displayed publicly. Prior to a confirmed booking, only an approximate location or the city may be displayed.
3.6 Booking data
- booking number;
- Host and beauty professional;
- booked beauty workspace;
- booking type;
- booking date and booking period;
- booked activity, where stated;
- booking price;
- platform fee;
- additional costs, where agreed;
- cancellations and changes;
- booking status;
access information.
3.7 Payment and billing data
- payment status;
- payment method used;
- transaction number;
- payout data;
- bank details;
- invoices and statements;
- platform fees and commissions;
- refunds;
- chargebacks and reversals;
- outstanding receivables;
tax-relevant information.
Full credit card or debit card data is generally processed directly by the payment service provider used and is not permanently stored by BeautySpaceBooking.
3.8 Communication data
- messages between users;
- emails;
- platform messages;
- support requests;
- complaints;
- booking-related notices;
- submitted evidence;
- uploaded documents and attachments;
internal processing notes, where required.
3.9 Review data
- review text;
- star rating;
- responses to reviews;
- time of review;
- associated booking;
- reports about reviews;
moderation decisions.
3.10 Technical data
- IP address;
- browser type and browser version;
- operating system;
- device information;
- screen and language settings;
- login times;
- access time;
- pages and functions accessed;
- referrer information;
- error logs;
- cookie and consent settings;
technical session, security, and log data.
4. Origin of the data
We obtain personal data in particular:
- directly from the data subject;
- from the company on whose behalf the data subject acts;
- from a Host or beauty professional in connection with a booking;
- from payment service providers;
- from identity and company verification services;
- from public company, business, and trade registers;
- from other publicly accessible sources;
- from authorities, where legally permitted;
through technical use of the platform.
5. Purposes and legal bases of processing
We process personal data only where a legal basis exists for this.
5.1 Registration and user account
We process personal data in order to:
- create a user account;
- enable access to the platform;
- manage the user role;
- store account settings;
- authenticate the user;
- prevent unauthorized access;
enable communication with the user.
The legal basis is Art. 6(1)(b) GDPR, insofar as processing is required for the implementation of pre-contractual measures or fulfillment of the platform contract.
Where security measures are affected, processing may additionally be based on Art. 6(1)(f) GDPR. Our legitimate interest lies in protecting the platform and user accounts.
5.2 Verification of business status
We process company, identity, and evidence data in order to:
- ensure exclusively business use of the platform;
- verify companies and persons authorized to represent;
- prevent abuse and false information;
- meet payment and payout requirements;
fulfill statutory verification and evidence obligations.
The legal bases are Art. 6(1)(b), (c), and (f) GDPR.
Our legitimate interest lies in the secure and reliable operation of a platform used exclusively for business purposes.
5.3 Creation and publication of offers
We process data in order to:
- publish beauty workspaces and rooms;
- display offers publicly;
- provide search and filter functions;
- inform potential beauty professionals;
- display availability and bookability;
promote published offers via permitted advertising channels.
The legal basis is Art. 6(1)(b) GDPR.
Data, photos, and company information intended for a public offer may be visible to registered users, visitors to the platform, and search engines.
5.4 Mediation and performance of bookings
We process booking and contact data in order to:
- display suitable offers;
- enable and confirm bookings;
- bring Hosts and beauty professionals together;
- provide booking confirmations;
- transmit access information;
- process changes and cancellations;
- manage hourly, daily, weekly, and monthly bookings;
prevent double bookings.
The legal basis is Art. 6(1)(b) GDPR.
5.5 Payment processing and payouts
We process payment and transaction data in order to:
- collect payments;
- bill booking prices and platform fees;
- arrange payouts to Hosts;
- process refunds;
- handle chargebacks and reversals;
- provide invoices and statements;
fulfill tax and accounting obligations.
The legal bases are Art. 6(1)(b) and (c) GDPR.
Where fraud and abuse prevention are affected, processing may additionally be based on Art. 6(1)
(f) GDPR.
5.6 Communication between
Host and beauty professional
We process messages and contact data in order to:
- prepare and perform a booking;
- clarify questions about the beauty workspace;
- transmit access information;
- process changes and issues;
ensure security and traceability of communication.
The legal bases are Art. 6(1)(b) and (f) GDPR.
Our legitimate interest lies in secure and traceable booking processing.
5.7 Support, complaints, and damage cases
We process personal data in order to:
- respond to support requests;
- review complaints;
- manage documents and evidence;
- process cancellations and refunds;
- support damage cases;
assert or defend legal claims.
The legal bases are Art. 6(1)(b) and (f) GDPR.
Where processing is required for the assertion, exercise, or defense of legal claims, it may additionally be based on Art. 9(2)(f) GDPR, where special categories of personal data are exceptionally affected.
5.8 Reviews
We process review data in order to:
- publish reviews;
- enable responses to reviews;
- associate reviews with an actual booking;
- prevent manipulation and false reviews;
- review reported reviews;
remove unlawful content.
The legal bases are Art. 6(1)(b) and (f) GDPR.
Our legitimate interest lies in a transparent and reliable review system.
5.9 Security and abuse prevention
We process technical, account, booking, and payment data in order to:
- detect fraud and abuse;
- prevent unauthorized access;
- detect multiple or sham accounts;
- prevent platform and fee circumvention;
- defend against automated attacks and spam;
- investigate security incidents;
protect the platform and its users.
The legal basis is Art. 6(1)(f) GDPR.
Our legitimate interest lies in the security, functionality, and economic integrity of the platform.
5.10 Legal obligations
We process personal data to the extent required in order to
fulfill legal obligations. These include in particular:
- tax and accounting obligations;
- statutory platform reporting;
- official disclosure obligations;
- identity and payment checks;
- court or official proceedings;
- statutory retention obligations;
prevention and investigation of fraud.
The legal basis is Art. 6(1)(c) GDPR.
5.11 Newsletter and electronic advertising
Newsletters and other electronic advertising are sent only if: corresponding consent has been given; or another legal basis exists for sending.
The legal basis is in particular Art. 6(1)(a) GDPR.
Consent may be withdrawn at any time with effect for the future, in particular:
- via the unsubscribe link in an email;
- via account settings, where this function is available;
by message to support@beautyspacebooking.com.
Withdrawal does not affect the lawfulness of processing carried out prior to withdrawal.
5.12 Analysis, improvement, and platform statistics
We process technical and aggregated usage data in order to:
- detect technical errors;
- improve functions;
- evaluate use of the platform;
- analyze demand and availability;
- develop new functions;
improve the security and stability of the platform.
The legal basis for technically necessary internal evaluations is Art. 6(1)(f) GDPR.
Our legitimate interest lies in the improvement, security, and economic development of the platform.
Currently, no separate external analysis or marketing provider is used.
If external analysis, tracking, or marketing services are used in the future, this Privacy Policy will be supplemented prior to their activation. Where consent is required for this, such services will be activated only after consent.
6. Data sharing between Host and beauty professional
For the preparation and performance of a booking, we transmit the required data between Host and beauty professional.
These may in particular include:
- name or profile name;
- company name;
- public user profile;
- booking data;
- booked activity;
- required contact data;
- access information;
- billing information, where required;
- messages;
required evidence.
Prior to a confirmed booking, only that information is displayed which is required for selection and assessment of the offer.
Further contact, address, and access data are generally provided only when required for a confirmed booking.
Hosts and beauty professionals generally process the data transmitted to them each in their own data protection responsibility.
The data may be used only for:
- preparation and performance of the booking;
- communication;
- access to the beauty workspace;
- billing;
- fulfillment of statutory obligations;
assertion or defense of legal claims.
Use for own advertising is permitted only if an independent legal basis exists for this.
7. Payment service providers and Stripe Connect
The use of Stripe and Stripe Connect is provided for payment processing, payouts, refunds, fraud prevention, and certain identity and company verifications.
Depending on the Stripe service used in each case, the following data in particular may be processed or
transmitted to Stripe:
- first and last name;
- company name and legal form;
- business address;
- email address and telephone number;
- bank details;
- payment amount;
- booking and transaction number;
- company and tax data;
- identity information;
- information on persons authorized to represent;
- information on beneficial owners;
- refund and chargeback data;
fraud and security information.
Stripe processes personal data depending on the respective service partly as processor and partly as independent controller.
For processing by Stripe, the privacy information and contractual terms of Stripe apply additionally.
BeautySpaceBooking generally does not store full credit card or debit card data.
Verification by Stripe does not replace independent legal, commercial, or professional review by BeautySpaceBooking, a Host, a beauty professional, or a competent authority.
The legal bases are Art. 6(1)(b), (c), and (f) GDPR.
8. Identity and company verification
To verify Hosts and beauty professionals, we may in particular use:
- Stripe Connect;
- public company and trade registers;
- publicly accessible company information;
documents submitted directly by the user.
The following may in particular be processed:
- identity and ID data;
- company register and register data;
- trade data;
- company address;
- information on persons authorized to represent;
- information on beneficial owners;
- bank and tax data;
insurance and permit evidence.
A verification does not constitute a guarantee of the reliability, creditworthiness, professional suitability, or complete legal permissibility of a user.
9. Hosting, email, and technical infrastructure
OVHcloud is used for hosting and technical operation of the platform.
Data processing generally takes place within the European Union or the European Economic Area, insofar as this is configured in accordance with the selected hosting region and the service booked.
OVHcloud may in particular process the following data:
- IP addresses;
- server and security logs;
- database contents;
- user account data;
- booking data;
- uploaded content;
technical backup data.
Processing is carried out to provide, secure, maintain, and technically administer the platform.
Where OVHcloud processes personal data on our behalf, this is done on the basis of a data processing agreement pursuant to Art. 28 GDPR.
9.1 Email communication
Contact, support, and data protection requests are processed in particular via the following email address:
support@beautyspacebooking.com
Email communication may in particular contain:
- name;
- email address;
- company name;
- booking data;
- support requests;
- messages;
- documents and attachments;
technical transmission data.
9.2 Support
Currently, no separate external ticketing system is used.
Support requests are processed in particular via:
- the platform;
- platform messages;
the email address support@beautyspacebooking.com.
If an external support service is used in the future, this Privacy Policy will be supplemented accordingly.
- hCaptcha – bot and abuse protection To protect the platform against automated access, spam, fraud, and abuse, we use hCaptcha.
The provider is:
Intuition Machines, Inc.
1065 SW 8th Street, No. 704
Miami, Florida 33130
USA
hCaptcha serves to determine whether an entry is made by a human or by an automated program.
hCaptcha may in particular be used for the following functions:
- registration;
- login;
- password reset;
- contact forms;
- creation of offers;
booking-related and security-relevant forms.
The following may in particular be processed:
- IP address;
- date and time;
- browser and device information;
- operating system;
- language settings;
- page accessed;
- interaction and movement data;
- technical security and verification data;
information about suspicious or automated behavior.
The legal basis is Art. 6(1)(f) GDPR.
Our legitimate interest lies in protecting the platform against automated attacks, spam, fraud, account takeovers, and abusive registrations.
As Intuition Machines, Inc. is based in the USA, data may be transferred to the USA. Such transfer takes place only on the basis of a legally permitted transfer mechanism,
in particular:
- an applicable adequacy decision;
- valid certification under the EU-US Data Privacy Framework;
- standard contractual clauses;
other suitable guarantees.
Where hCaptcha processes personal data on our behalf, this is done on the basis of a data processing agreement.
11. Further technical service providers
Further service providers may be used for operation of the platform, in particular for:
- hosting and cloud storage;
- databases and backups;
- email dispatch;
- security services;
- error analysis;
- software development;
- translations;
- identity verification;
- payment processing;
technical maintenance.
Such service providers receive only that data required to provide their respective service.
If new material service providers are used, this Privacy Policy will be updated accordingly.
12. Further recipients
Personal data may be disclosed to the extent required to:
- Hosts;
- beauty professionals;
- payment service providers;
- hosting and IT service providers;
- email and communication providers;
- identity and company verification services;
- tax advisors and accountants;
- auditors;
- lawyers;
- debt collection companies;
- insurers;
- experts;
- authorities;
- courts;
other legally authorized bodies.
Disclosure takes place only to the extent required for the respective purpose and legally permitted.
13. Processors
Service providers that process personal data exclusively in accordance with our instructions are engaged as processors.
With these service providers, we conclude data processing agreements pursuant to Art. 28 GDPR where required.
Processors may process personal data only:
- in accordance with our documented instructions;
- for the agreed purposes;
subject to appropriate technical and organizational security measures.
14. Transfer to third countries
Some service providers may process personal data outside the European Union or the European Economic Area.
Such transfer takes place only if the legal requirements are met.
The following may in particular serve as a basis:
- an adequacy decision of the European Commission;
- valid certification under the EU-US Data Privacy Framework;
- standard contractual clauses of the European Commission;
- binding corporate rules;
- other legally recognized guarantees;
a legally permitted exception in the individual case.
Where required, additional technical, organizational, or contractual safeguards are implemented.
15. Cookies and comparable technologies
BeautySpaceBooking may use cookies, local storage technologies, and comparable technologies.
We distinguish between technically necessary and optional technologies.
15.1 Technically necessary technologies
Technically necessary technologies may in particular be required for:
- login and user account;
- security and fraud prevention;
- the booking process;
- storage of an ongoing booking;
- language settings;
- payment processing;
- storage of cookie and privacy settings;
hCaptcha and bot protection, where technically necessary.
These technologies are used insofar as they are required for a service expressly requested or for security of the platform.
The legal basis for related processing of personal data is in particular Art. 6(1)(b) or (f) GDPR.
15.2 Optional technologies
Optional analysis or marketing technologies are activated only after prior consent.
This may in the future relate in particular to:
- reach measurement;
- usage analysis;
- conversion tracking;
- remarketing;
- social media pixels;
external marketing services.
The legal basis is Art. 6(1)(a) GDPR.
Where consent is given, Meta Pixel may be used for marketing measurement. No other separate external analytics provider is currently used.
Consent given may be withdrawn or changed at any time via the cookie settings.
Withdrawal must be as easy as giving consent.
16. Cookie settings
On the first visit to the website, a choice option for cookies and comparable technologies is provided.
Users must in particular have the option to:
- accept optional technologies;
- reject optional technologies;
- make individual settings;
- change consent given later;
withdraw consent given.
Optional technologies are generally not activated prior to required consent.
Cookie settings can be accessed and changed at any time via the permanently available "Cookie settings" link.
17. Server log files
When the platform is accessed, technical data may be processed automatically.
These include in particular:
- IP address;
- date and time;
- page accessed;
- file requested;
- amount of data transferred;
- referrer information;
- browser;
- operating system;
- device information;
- error messages;
security events.
Processing serves:
- technical provision;
- stability of the platform;
- error analysis;
- detection of attacks;
- abuse prevention;
IT security.
The legal basis is Art. 6(1)(f) GDPR.
Our legitimate interest lies in secure, stable, and functional platform operation.
18. Public profiles and offers
Certain data of a Host and an offered beauty workspace may be displayed publicly on the platform.
These may in particular include:
- company name or public profile name;
- company description;
- city or location area;
- photos and videos;
- equipment;
- prices;
- reviews;
- opening and access hours;
- permitted activities;
- house rules;
available booking times.
Public information may also be captured by search engines and displayed in search results.
The user must ensure that they are authorized to publish the content and personal data provided by them.
The following are generally not displayed publicly:
- complete verification documents;
- copies of ID documents;
- bank data;
- payment information;
- internal tax data;
- non-public support information;
the full address, as long as its disclosure is not required for a booking.
19. Communication via the platform
Messages between users may be stored in order to:
- perform bookings;
- transmit access information;
- clarify questions and issues;
- prevent fraud and abuse;
- detect platform circumvention;
- process complaints;
- investigate breaches of contract;
prove legal claims.
BeautySpaceBooking may review messages to the extent required if:
- a complaint exists;
- a security issue exists;
- fraud or circumvention is suspected;
- this is required for contract performance;
a legal obligation exists.
Routine private evaluation of all messages does not take place.
20. Reviews
Reviews may in particular be published with:
- first name;
- profile name;
- abbreviated user designation;
- company name;
date of review.
Reviews may generally be submitted only after an actual booking.
The following are in particular not displayed publicly:
- payment data;
- complete billing addresses;
- ID documents;
- verification documents;
internal support information.
Reviews may also be stored or displayed in anonymized or pseudonymized form after termination of a user account, insofar as required for transparency, abuse prevention, traceability, or legal claims.
21. Data of end customers of beauty professionals
BeautySpaceBooking is not a platform for managing treatment, medical, or health data of the end customers of a beauty professional.
Users should in particular not transmit unnecessary:
- health data;
- allergy data;
- diagnoses;
- medical history data;
- treatment documents;
- customer photos;
other specially protected customer data via BeautySpaceBooking.
The beauty professional is themselves responsible for processing the personal data of their own customers.
If information about end customers must exceptionally be transmitted to process a damage or complaint case, it must be limited to what is strictly necessary.
22. Tax and statutory platform reporting
BeautySpaceBooking may be legally obliged to collect, review, retain, and report data on Hosts, offers, bookings, revenue, payouts, and fees to competent authorities.
These may in particular include:
- name or company name;
- business address;
- date of birth for natural persons, where required;
- tax identification number;
- VAT number;
- company register or register number;
- bank details;
- location address of the beauty workspace;
- number of bookings;
- remuneration received;
commissions and fees withheld.
The legal basis is Art. 6(1)(c) GDPR.
23. Storage period
Personal data is stored only as long as required for the respective purpose.
In addition, data may be stored if statutory retention periods, legitimate interests, or securing and enforcement of legal claims require this.
23.1 User accounts
Account data is generally stored for the duration of the user account.
After termination of the account, data may continue to be stored insofar as required for:
- open bookings;
- outstanding receivables;
- complaints;
- damage cases;
- legal claims;
- security and fraud prevention;
statutory retention obligations.
23.2 Contract and booking data
Booking and contract data is stored for the duration of the contractual relationship and thereafter until expiry of the applicable statutory limitation and retention periods.
23.3 Invoice and tax data
Invoices, statements, payment records, and tax-relevant documents are generally stored for at least seven years, unless a longer statutory period applies.
23.4 Support, complaint, and damage data
Support, complaint, and damage data is stored as long as required for processing.
Longer storage may take place if:
- claims can be asserted;
- preservation of evidence is required;
- open proceedings exist;
statutory obligations require this.
23.5 Verification documents
Verification documents are stored only as long as required for:
- verification;
- payment processing and payout;
- fraud prevention;
- statutory obligations;
assertion or defense of legal claims.
Where Stripe or another service provider carries out verification in its own responsibility, the storage period there is governed additionally by its privacy information.
23.6 Newsletter
Newsletter data is processed until withdrawal of consent or until unsubscription.
Evidence of consent may be stored beyond this insofar as required to fulfill legal evidence obligations.
23.7 Technical logs
Technical and security-related logs are stored only as long as required for:
- IT security;
- error analysis;
- fraud prevention;
investigation of security incidents.
24. Obligation to provide data
Certain personal data is required for:
- registration;
- verification;
- conclusion of the platform contract;
- creation and publication of an offer;
- performance of a booking;
- payment processing;
- payouts;
- invoicing;
statutory reporting.
If required data is not provided, BeautySpaceBooking may in particular:
- not activate a user account;
- not publish an offer;
- not confirm a booking;
- not process payment or payout;
restrict or block the user account.
25. Search results and automated systems
BeautySpaceBooking may use automated systems for:
- sorting and display of offers;
- application of search and filter criteria;
- checking availability;
- preventing double bookings;
- fraud and security checks;
detection of automated or suspicious access.
The order of search results may in particular be influenced by:
- category;
- location;
- selected search criteria;
- booking type;
- availability;
- price;
- reviews;
completeness of the offer.
As a rule, no solely automated decision is made that produces legal effects vis-à-vis a person or similarly significantly affects them.
If such processing is used in the future, the data subjects concerned will be informed separately in accordance with statutory requirements.
26. Data security
BeautySpaceBooking implements appropriate technical and organizational measures to protect personal data.
These may in particular include:
- encrypted data transmission;
- access restrictions;
- role and permission concepts;
- password protection;
- secure password storage;
- logging;
- data backups;
- security updates;
- protection against automated attacks;
- monitoring of suspicious access;
contractual obligations of service providers.
Complete protection against all risks cannot be guaranteed for electronic data transmission and online systems.
27. Rights of data subjects
Data subjects have the following rights in accordance with statutory requirements in particular
:
27.1 Right of access
You may request information as to whether and which personal data concerning you is processed.
27.2 Right to rectification
You may request rectification of inaccurate or completion of incomplete personal data.
27.3 Right to erasure
You may request erasure of personal data under the statutory requirements.
A right to erasure does not exist in particular insofar as further storage is required for:
- statutory retention obligations;
- open contracts or bookings;
- open payments;
- legal claims;
- security and fraud prevention;
other legally protected purposes.
27.4 Right to restriction of processing
You may request restriction of processing under the statutory requirements.
27.5 Right to data portability
Insofar as processing is based on consent or a contract and is carried out by automated means, you may receive the data provided by you in a structured, commonly used, and machine-readable format.
27.6 Right to object
Where processing is based on legitimate interests, you may object to processing for reasons arising from your particular situation.
We will no longer process the data concerned thereafter unless: compelling legitimate grounds for processing exist; or processing serves the assertion, exercise, or defense of legal claims.
For processing for direct marketing, objection may be made at any time without giving reasons.
27.7 Withdrawal of consent
Consent given may be withdrawn at any time with effect for the future.
Withdrawal may in particular be made via:
- cookie settings;
- the unsubscribe link in the newsletter;
- account settings, where available;
a message to support@beautyspacebooking.com.
Withdrawal does not affect the lawfulness of processing carried out prior to withdrawal.
28. Right to lodge a complaint
Data subjects have the right to lodge a complaint with a data protection supervisory authority.
The competent Austrian supervisory authority is:
Austrian Data Protection Authority
Barichgasse 40–42
1030 Vienna
Austria
Telephone: +43 1 52 152-0
Email: dsb@dsb.gv.at
Website: dsb.gv.at
A complaint may also be lodged with the supervisory authority competent at the habitual residence, place of work, or place of the alleged infringement.
29. Exercise of data protection rights
Requests to exercise data protection rights may be addressed to:
Email:
support@beautyspacebooking.com
Post:
ID Partner GmbH
Weyringergasse 15–17/2/2
1040 Vienna
Austria
The request should where possible contain:
- name;
- email address used;
- affected user account;
description of the right asserted.
To prevent unauthorized disclosure of data, we may request suitable proof of identity where required and proportionate.
30. No general consent to the Privacy Policy
This Privacy Policy serves to fulfill statutory information obligations.
General consent to the Privacy Policy is not required.
Consent is obtained separately only where consent is required as a legal basis
. This relates in particular to:
- optional cookies;
- newsletter;
- certain marketing measures;
voluntary data processing.
Such consents are voluntary and are obtained separately from consent to contractual terms.
31. Changes to this Privacy Policy
We may adapt this Privacy Policy if:
- statutory requirements change;
- new platform functions are introduced;
- new service providers are used;
- processing procedures change;
security measures are adjusted.
The current version is published on beautyspacebooking.com.
In the event of material changes, registered users may additionally be informed via the user account, a platform message, or by email.
32. Contact
Questions about data protection or the processing of personal data may be addressed to:
ID Partner GmbH
Weyringergasse 15–17/2/2
1040 Vienna
Austria
Email: support@beautyspacebooking.com
Website: beautyspacebooking.com
Version: July 9, 2026