AB180 Inc. (hereinafter referred to as "AB180" or "the Company") complies with the "Personal Information Protection Act" and related laws and regulations to protect the freedom and rights of information subjects, lawfully process personal information, and securely manage it. In accordance with Article 30 of the "Personal Information Protection Act" AB180 establish and disclose a privacy policy to guide information subjects on the procedures and standards for processing personal information and to promptly and smoothly address related complaints.
Service | Purpose of Processing Personal Information | Legal Basis |
Airbridge Membership Registration | Confirmation of membership registration intent, Identification and authentication of the individual for membership services provision, Maintenance and management of membership status, Prevention of misuse of services, etc. | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
Provision of Airbridge Services | Identification and management of Airbridge clients, Notifications regarding service use, Fee payment and settlement, etc. | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
Library Download | Download handbooks and guides for information dissemination | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
Newsletter Subscription | Sending newsletters for service promotion and information | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
Book a Demo | Application for and use of Airbridge demo services, Responding to inquiries regarding the introduction of Airbridge service | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
Service inquiries and Complaint Handling | Responding to inquiries from customers and partners, Various notifications and notices, Handling grievances, Preserving records for dispute resolution, Verifying the identity of the complainant, Confirming complaint details, Notifying the results of the processing, etc. | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
Request to Help Center | Responding to inquiries on Airbridge Dashboard | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
Share feedback | Providing Feedback on Help Center Guide | Required: Personal Information Protection Act, Article 15 (Collection and Use of Personal Information) Optional : Consent for the collection of personal information from the information subject |
ETC. | Retention of Records Related to Tax Evidence | The Basic Tax Law Article 85-3 (Storage and Preservation of Books, etc.)The Commercial Act Article 266 (Preservation of Books and Documents) |
AB180 processes personal information for the following purposes. The Company does not use processed personal information for any other purpose than the following, and if a purpose of use is to be changed, it shall seek prior consent.
AB180 promptly destroys personal information once the purpose of its collection and use has been achieved. However, in cases where it is necessary to retain personal information in accordance with provisions of relevant laws such as the Commercial Act, the information will be retained for a certain period. The categories of personal information processed and used, as well as the retention periods, are as follows.
Service | Type | Item | Retention Period |
Airbridge Membership Registration | Required | Name, Email, Password, Company Name, Country | Customers who have entered into a solution usage contract : 1 year from the contract termination date Other members : 1 year from the last login date after registration |
Airbridge Membership Registration | Optional | Phone Number, Job Title | Customers who have entered into a solution usage contract : 1 year from the contract termination date Other members : 1 year from the last login date after registration |
Provision of Airbridge Services | Required | Name, Company Name, Job Title, Email, Phone Number | Until the contract termination |
Library Download | Required | Name, Company Name, Job Title, Email, Country | Until unsubscribing from the newsletter or the termination of the newsletter service |
Newsletter Subscription | Required | Until unsubscribing from the newsletter or the termination of the newsletter service | |
Book a Demo | Required | Name, Company Name, Job Title, Email, Phone Number | 1 year from the end of the demo request |
Service inquiries and Complaint Handling | Required | Email, Name | 3 years from the end date of the contract |
Request to Help Center | Required | Name, Company Name, Email, Country | Customers on a paid plan : 3 years from the contract termination date Other members : 3 years from the inquiry completion date |
Share feedback | Optional | 3 years from the feedback sharing date | |
ETC | Required | Tax basis documents (all transaction records and supporting documents) | For 5 years |
1) In order to facilitate the handling of personal information, AB180 outsources personal information processing tasks as follows. The entrusted work processed by an overseas corporation among entrustment is as follows.
Transferred Item | Collected personal information |
Countries | Japan |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Amazon Web Services, Inc. (aws-korea-privacy@amazon.com) |
Purpose | For using Amazon Cloud Service(outsourcing physical operational environment) |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Intercom, Inc. (Legal Department, compliance@intercom.com) |
Purpose | For membership management and handling of civil affairs |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | The Rocket Science Group LLC d/b/a Mailchimp (Privacy, privacy@mailchimp.com) |
Purpose | For sending email to customers |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Amplitude, Inc. (Privacy, privacy@amplitude.com) |
Purpose | For system improvement through analysis of customer behavior data |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | LogRocket (Privacy, privacy@logrocket.com) |
Purpose | For monitoring customer session of frontend |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Sentry (Privacy, security@sentry.io) |
Purpose | For monitoring log and error of frontend system |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Twilo(Sendgrid) (Privacy, privacy@twilio.com) |
Purpose | For sending email to user |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Mixmax, Inc. (Privacy, privacy@mixmax.com) |
Purpose | For Business and performance management |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Salesforce, Inc.(Privacy, privacy@salesforce.com) |
Purpose | For Customer and contract management |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Productboard, Inc. (privacy@productboard.com) |
Purpose | For Utilizing B2B marketing intelligence platforms |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | USA |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | ZenLeads Inc. (privacy@apollo.io) |
Purpose | For Utilizing B2B marketing intelligence platforms |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
Transferred Item | Collected personal information |
Countries | UK |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient (Information Manager) | Plain (Security team, security@plain.com) |
Purpose | For handling customers and partners inquiries |
Retention and Use Period | 3 years from the end date of the contract (however, if retention is required according to other laws, the information will be retained until the end of that period) |
Transferred Item | Collected personal information |
Countries | France |
Transfer Method | Transmission through security protocols (encryption) upon using the Airbridge website service |
Recipient(Information Manager) | OpenReplay (privacy@openreplay.com) |
Purpose | For monitoring customer session of frontend |
Retention and Use Period | Until membership withdrawal or contract termination(However, if the laws and regulations impose duties to retain information for a certain period, personal information may be stored during the designated period) |
2) When signing an outsourcing contract, AB180 specifies matters such as prohibition of personal information processing for other purposes than conducting the outsourced duties, technical and administrative protection measures, restriction on subcontract, management and supervision of the outsourcee, indemnification for damages and other liabilities, etc. in accordance with Article 26 of the Personal Information Protection Act and supervises the outsourcee for safe handling of personal information.
3) In case of any change in the contents of the outsourced tasks or the outsourcee, the Company shall without delay disclose such change through this Privacy Policy
4) AB180 does not provide personal information to third parties without the prior consent of the data subject. However, personal information may be provided in the following cases: when the data subject directly consents to the provision of personal information in order to use the services of external affiliated companies, and when the company is obligated to submit personal information to the competent authority in accordance with relevant laws, and when there is an urgent need to protect the life or safety of the data subject and it is necessary to provide personal information to resolve such risks.
5) Data subjects may refuse the transfer of personal information overseas by contacting the personal information protection department. However, please note that refusal of the transfer of personal information overseas may result in difficulty in using the services smoothly.
As a personal information subject, the user can exercise the following rights.
1) The information subject may at any time exercise the right to access, correct, or delete his/her personal information or request discontinuance of personal information processing to AB180.
2) The user can exercise the rights under Paragraph 1 by documents, email, fax, etc. according to Article 41, Paragraph 1 of the Enforcement Decree of the Personal Information Protection Act, and AB180 shall take actions accordingly without delay.
3) The information subject may exercise the rights under Paragraph 1 through his/her legal representative, trustee, or other authorized agents. In this case, the user shall submit a power of attorney produced on the form in Annex 11 of the Enforcement Rules of the Personal Information Protection Act.
4) The information subject’s right to request suspension of personal information access or processing may be limited pursuant to Article 35, Paragraph 4 and Article 37, Paragraph 2 of the Personal Information Protection Act.
5) Correction or deletion of personal information may not be requested if such personal information is specified to be subject to collection in other laws or regulations.
6) AB180 performs verification of whether the requester of viewing, correcting or deleting personal information or suspending processing of such information is the information subject or his/her rightful agent.
In principle, AB180 shall destroy personal information without delay when the purpose of processing the personal information is achieved. The procedure, time, and method of destruction are as follows.
1) Procedure of destruction
The information entered by the user is transferred to a separate DB (separate documents in the case of data on paper) after achieving the purpose and is stored for a certain period of time or immediately destroyed according to the internal policy and other related statutes. Here, the personal information transferred to the DB shall not be used for any other purpose than what is required by the laws.
2) Time of destruction
Personal information of the user shall be destroyed within five days after the end date of the retention period or within five days after the date on which it is acknowledged that processing of such personal information is no longer necessary due to reasons such as fulfillment of the purpose of personal information processing, discontinuation of the service, closing of the business, etc.
3) Method of destruction
Personal information recorded and stored in electronic file format is destroyed in a way that makes it unrecoverable, and personal information recorded and stored in paper documents is shredded or incinerated for disposal.
1) AB180 uses “cookies” to save and retrieve the usage information to provide the individually customized service.
2) Cookies are a small amount of information that the server(http) used to run a website sends to the user's computer browser and are sometimes stored in the hard disk of the user's computer.
3) Users can configure their web browser options to allow or block cookies. However, refusing to store cookies may result in difficulties using customized services.
※ How to Install, Operate, and Reject Cookies
a) Chrome : Web Browser Settings > Privacy and Security > Clear Browsing Data
b) Edge : Web Browser Settings > Cookies and Site Permissions > Manage and Delete Cookies and Site Data
a) Chrome : Mobile Browser Settings > Privacy and Security > Clear Browsing Data
b) Safari : Mobile Device Settings > Safari > Advanced > Block All Cookies
c) Samsung Internet : Mobile Browser Settings > Browsing History > Delete Browsing History
The company collects and uses online behavioral information to analyze the usage of this site for purposes such as product and service development and customer analysis. Behavioral information refers to online user activity data that can be used to understand and analyze users' interests, preferences, and tendencies, such as website visit history, app usage history, purchase and search history.
1) The company collects behavioral information on the Airbridge website as follows.
Items of Behavioral Information Collected | User's service visit records, activity logs, search history, and advertising identifiers |
Method of CollectingBehavioral Information | - Cookie Installation and Operation- Automatic collection and transmission through tools for generating information during visits to web/app sites- Automatic collection and transmission through tools for generating information upon app execution |
Tools Used for Collection | Airbridge, Amplitude, Google Analytics |
Purpose of CollectingBehavioral Information | - Analyzing the usage patterns of company services to provide recommended services to users (including advertisements)- Utilizing user behavioral information analysis as a measure for new service development, service improvement, etc. |
Retention, Usage Period, and Subsequent Processing Methods | The behavioral information will be retained for a maximum of 2 years from the date of collection and then destroyed. |
2) Users have the right to collectively block or allow the collection of behavioral information by adjusting cookie and device settings on the web/app. However, changing cookie settings may restrict the use of certain services such as automatic login on websites.
3) Customers can refuse the use of cookies by adjusting their browser settings.
a) Chrome : Settings > Privacy and Security > Clear Browsing Data > Choose whether to delete browsing data and block third-party cookies
b) Edge : Settings > Privacy, Search, and Services > Choose options and levels for tracking prevention
a) Android : Settings > Security and Privacy > Privacy > Other Privacy Settings > Ads > Reset Advertising ID or Delete Advertising ID
b) IOS : Settings > Privacy and Security > Tracking > Disable App Tracking
※ Menu and methods may vary slightly depending on the mobile OS version.
1) AB180 operates a Privacy Protection Department to handle personal data processing and address any complaints or remedy issues related to personal data processing as follows.
2) User can contact the Privacy Protection Department regarding any inquiries, access requests, complaints, or remedy issues related to personal data protection arising from their use of AB180 Inc.'s services (or business). AB180 Inc. will respond to and address these inquiries without delay.
Classification | Relevant Department | |
Privacy Protection Department | Security & Privacy Division | compliance@ab180.co |
AB180 ensures security measures necessary for safety in accordance with Article 29 of the Personal Information Protection Act through technical, managerial, and physical measures.
1) Periodic self-audit
In order to ensure safety in handling personal information, the Company conducts self-audit on a regular basis (once a year).
2) Minimization and training of personnel handling personal information
The Company designates persons who handle personal information and minimizes such personnel size by limiting assignment of such tasks to managers only.
3) Establishment and implementation of internal management plan
The Company establishes and implements internal management plans for safe handling of personal information.
4) Technical measures against hacking, etc.
To prevent personal information leak or damage caused by hacking, computer viruses, etc. the Company installs security programs, performs periodic updates and inspections, installs systems in areas where access from outside is restricted, and performs technical and physical monitoring and blocking.
5) Encryption of personal information
The User's password encrypted and stored and managed so that only the user can know, and uses separate security functions for handling important data such as encrypting files and transmitted data and using file locking.
6) Storage of access records and prevention of forgery and falsification
The Company keeps and manages the access records in the personal information processing system for at least 2 years and uses security functions to prevent forgery, falsification, theft, and loss of the access records.
7) Restriction on access to personal information
The Company controls access to personal information by granting, modifying, and canceling access rights to the database system that processes personal information and blocks unauthorized access from outside using an intrusion prevention system.
8) Blocking of unauthorized access
The Company has a separate physical storage area for personal information and has an established access control procedure in operation for the area.
The following are separate organizations from AB180, and if you are not satisfied with AB180's handling of privacy complaints, damage relief results, etc. or need further assistance, you can contact these organizations.
1) Personal Information Infringement Report Center (operated by the Korea Internet and Security Agency)
2) Personal InformationDispute Mediation Committee
3) Prosecutor's Office Cyber Investigation Division : (without area code) 1301 (spo.go.kr)
4) National Police Agency Cyber Investigation Unit : (without area code) 182 (ecrm.police.go.kr)
1) This policy will be effective from Nov 22, 2024.
2) Previous privacy policies can be reviewed by selecting the date at the top of the page.
3) AB180 will announce any revisions to the company's privacy policy
The GDPR requires a written designation of a representative in the EU by the controller or processor not based in the EU. Contact information and address of AB180 Inc., a service provider of Airbridge, in the EU are as follows:
GDPR-Rep.eu
Maetzler Rechtsanwalts GmbH & Co KG
Attorneys at Law
c/o AB180 Inc.
Schellinggasse 3/10, 1010 Vienna, Austria
Please add the following subject to all correspondence:
GDPR-REP ID: 12799064