
Good-Feel Co., Ltd. (hereinafter, "the Company"), in the course of software development and sales, portal site management, and other Internet-related activities, protects the personal information of the Company's clients and other business-related individuals (hereinafter, "the Individual (s)") in accordance with the Personal Information Protection Law and its guidelines as laid out by the Ministry of Economy, Trade, and Industry. The Company manages the personal information of the Individual(s) (simply, "Personal Information") in good faith and reasonable use based upon the principles of legal compliance and protection of privacy.
It is assumed that Personal Information will be provided by the Individual(s) in the following situations:
[1] The Personal Information provided by the Individual(s) according to the preceding section 1 will be used by the Company to accomplish the purposes given in the following examples and within the given scope. However, the purposes of use shall not be subject to the restrictions of this section in the cases specified in the following Item [2].
[2] Exclusions to the provisions of the preceding Section are as follows:
If changes are made to the purposes given in the preceding Section 2[1], the Company will notify the Individual(s) or make a public announcement. However, this shall not apply in the following cases:
The Company will strive to maintain accurate and updated personal data (Personal Information that has been compiled into a database) within the scope required to achieve the purposes of use.
If the handling of Personal Information is outsourced, in whole or in part, the Company will carry out necessary and appropriate supervision of the outsourcing partner for safe management of Personal Information.
If the Individual(s) requests notification of the purposes of use of Personal Information that the Company has the authority to disclose/amend/delete, etc. (hereinafter, "Retained Personal Data"), the Company will, as a general rule, notify them without delay after confirming the Individual(s) identity. However, the exclusions outlined in Section 3 may apply.
If the Individual(s) requests disclosure of Retained Personal Data that identifies them, the Company will disclose the data without delay after confirming the Individual(s) identity. However, this excludes cases in which disclosure would violate the law or could significantly impede appropriate execution of the Company's business.
If the Individual(s) requests revision of Retained Personal Data concerning themselves because it contains factual errors, the Company will, as a general rule, carry out the revision and notify the Individual(s) without delay after confirming the Individual(s) identity.
In addition to conducting safe management of Personal Information, the Company will take preventive measures against unauthorized access, leakage, loss, falsification, etc.