Ato Legal Portal

This legal notice applies to the duration of its exhibition. Llet Ato therefore advises users to carefully read the content each time they access the portal, which is the only way to know the updated text, as Llet Ato is not obliged to personally inform users of any changes. The www.ato.cat portal contains content and products subject to intellectual and industrial property rights. Their misuse, outside the authorized limits, will be pursued through the appropriate legal channels. CAPSA therefore recommends their use within the parameters of responsibility and good faith. The Law Council of Australia appreciates the context behind the development of the Australian Taxation Office`s (ATO) draft Protocol on Solicitor-Client Privilege (LPP) and welcomes attempts to assist advisers and taxpayers in dealing with BVG issues. This proposal raises a number of major concerns regarding the proposed consultation of the Protocol, both in terms of its consistency with the established principles of the LPP and the professional and ethical obligations of the legal profession. With regard to specific feedback, the Legal Advice makes a number of comments on the practical implications of the draft consultation protocol, including: This includes, but is not limited to, users of the www.ato.cat portal who are not authorised to perform any of the actions listed below: LLET ATO has set up an information security management system that covers aspects related to all areas of the company, when personal data is processed or there is a possibility that it will be processed. Its information security management system covers: security policies; organization of security; HR security; asset management; access control; cryptography; physical and environmental security; operational security; communications security; acquisition, development and maintenance; the relationship with suppliers; Information Security Incident Management; Business continuity management and regulatory compliance. ATO Application Portal (AAP) collects information to correctly identify a user`s Nextgen ID and match it to their installation folder to provide the employee with adequate access in an application hosted on the portal. A person is asked to enter their last name and the last four digits of their social security number the first time they try to access the portal. This information is used to map the user`s NexGen ID to their asset database information. The information contained in the ATO Application Portal (AAP) is used by the system to correctly identify the employee and link them to their installation file.

The portal provides single sign-on access to the list of applications available to that particular user. The portal is responsible for transmitting the username to these special applications. In order for an individual`s PII to be included in the ATO Application Portal (PAA), that person must be an FAA employee and their record must exist in the facility`s database. This information is used by the system when the user first logs in to the portal to associate it with their NextGen ID. You must accept the Privacy Policy each time you log in by clicking OK. The Law Council of Australia welcomes today`s release of the Australian Taxation Office`s (ATO) Protocol on Professional Secrecy (LPP), but believes more work is needed to ensure that the confidentiality of privileged documents continues to be protected. The conditions of the various services available on the www.ato.cat portal are subject, where appropriate, to the following provisions: Law 34/2002, 11 July, Information Society Services; Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 on the protection of natural persons with regard to the processing of personal data and on the free movement of such data; Law 7/1996, 15 January, on Retail Trade Law; Royal Legislative Decree 1/2007 of 16. November, which approves the consolidated text of the General Law on consumer and user protection and other complementary laws; Law 44/2006 on Improving Consumer and User Protection and Related Regulations.

LLET ATO will retain your personal data for the time necessary and necessary for any purpose of processing, without prejudice to the fact that you can withdraw your consent at any time. As a general rule, the retention period is based on the fulfillment of a legal obligation that may arise with any processing or for the exercise of any claim by users. PII contained in the ATO Application Portal (AAP) will not be shared with third parties, except for the transfer of the person`s username to the application that the person wishes to use through their single sign-on permissions. The list of systems that each user can access is listed when they log in to the portal. As a general rule, no transfer of data to third parties or transfer to third countries or international organisations is envisaged, unless there is an obligation to comply with a legal obligation or at the request of a public body or the courts. In the minutes, the ATO recommends the provision of information, including “a title or subject line of the communication, unless the disclosure of the title or subject line also reveals the content of the legal notice.” The User also undertakes to use the Portal correctly in accordance with the content of this Legal Notice, the principles of good faith and the applicable legislation, expressly prohibiting any illegal use, contrary to public order and / or infringing the rights and interests of persons, in which case Llet Ato reserves the right to: take legal action as it deems appropriate. The legal authority for this collection is 49 U.S.C. 322, 49 U.S.C. 40122(g), 49 U.S.C. 40101, 40 U.S.C. 1441, 5 U.S.C.

302 PII information is obtained electronically from asset databases via automated processes. These processes have been tested and validated during their implementation. For data accuracy, AAP relies on data available in asset databases. For example, if someone leaves the FAA, they automatically lose access to the portal because their NextGen username is deleted. According to the provisions of the Data Protection Act, individuals can request a search in the ATO Application Portal (AAP) file to determine if records have been added that could concern them. To do this, contact the ATO Application Portal administration team. In this sense, the user assumes any responsibility arising from excessive or insufficient data that he voluntarily decides to provide to LLET ATO through the established data collection channels. The user is also responsible for the veracity and accuracy of the personal data provided. In the event of a change in the user`s data, the changes must be communicated to LLET ATO in order to keep them up to date. If you believe that your rights regarding the protection of your personal data have been violated, in particular if you have not received satisfaction in the exercise of your rights, you can file a complaint with the competent data protection authority, the Spanish Data Protection Agency – Address: C/Jorge Juan, 6 – 28001 MADRID (Madrid) – Electronic Office: sedeagpd.gob.es. As a first step, however, you can file a complaint with the data protection officer of llmet ATO, who will resolve the complaint within a maximum period of two months.

Use the arrows to learn more about the Tax Avoidance Task Force, the ATO`s tax programs, efficient tax administration, and other resources. The supply may be communicated to the Group Subsidiaries and affiliated companies for management and/or administrative purposes, with a legitimate interest serving as the basis for the communication. Find out how J5 tackles tax crime together. “As we pointed out in our filing, LPP belongs to the client and lawyers are required to maintain the confidentiality of privileged documents.

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