The services and site are not intended for children under the age of 13 and we do not knowingly gather Personal Data from any user or site visitor that is under the age of 13. If we discover that a child under the age of 13 has submitted information, we will attempt to remove that information as soon as possible.
If you wish to not divulge any of your personal contact information, you should contact event providers directly to ask about their alternatives for accessing information pertinent to the event.
Meeting Play, LLC
Attention: Privacy Department
5303 Spectrum Drive, Suite D
Frederick, MD 21703
The data we collect from you
In the operation of our site, we collect certain pieces of information about you, some of which is needed to perform the actions that occur with our technology. Examples of this information include your name, email address, telephone number, address, notification preferences, IP address, etc. However, most of this information, especially sensitive details (e.g. passwords) cannot be accessed by us as they are stored encrypted (meaning that they cannot be seen) in our system or are not stored by us at all.
In general, Personal Data is used either to respond to requests that you make, or to help provide and improve our and our Clients’ products, services, content, and advertising for you and other users. We, our authorized service providers, and our Clients that offer the event technology, may use your Personal Data for a variety of purposes, including:
We are also introducing a profile deletion tool. In any of our products, you may request to be forgotten, in accordance with the new GDPR regulations. That request will be reviewed, may require additional information for you, but will allow you and your data to be removed from our systems. The deletion of this data may result in the deletion of de-identification of certain associated other information.
To comply with the GDPR guidelines MeetingPlay has implemented (mentioned above) a robust process to carry out ‘requests to be’ forgotten. The requests are to be sent in via the email@example.com email address and the MeetingPlay Information Security and Privacy team will begin the process. MeetingPlay will comply with the GDPR when it becomes enforceable on May 25, 2018. MeetingPlay will also provide advisement to clients when and where relevant.
We may share the Personal Data we collect from or about you with the Clients that that have engaged us for an event. Our Clients may use and share this information for marketing, operational, analytics and other purposes pursuant to their own respective privacy policies and practices, for which we are not responsible, and that may differ from ours. Our Clients will also have access to any Personal Data collected from their own employees who access and use the administrative tools and features available through our Services together with any records or reports their employees create, and information about how their employees interact with and use those features and tools.
Information Collected by Our Servers.
To make our Services more useful to you, our servers (which may be hosted by a third-party service provider) may collect information from your computer or device, including but not limited to:
Please note that Meeting Play, LLC may also be required to share some or all of your information in circumstances beyond our control, such as for the purposes of law enforcement or protection of you and other users of the site. First and foremost, Meeting Play, LLC must comply with the law. Your information may also be passed on in the event of a change of ownership or bankruptcy of Meeting Play, LLC.
To increase the privacy and security of the information you pass on to us, we encrypt your contact, information that you send through our site. But please note that not all websites provide this level of security to its visitors; just because we extend SSL capabilities, we cannot guarantee that those sites who link from or to us do the same.
We may share aggregated information about our Visitors, including the demographics of our Visitors and Authorized Customers, with our advertisers and third party vendors. We also offer the opportunity to "opt out" of receiving information or being contacted by us or by any agency acting on our behalf. We seek to ensure that such unaffiliated third-parties will not use your Personally Identifiable Information for any purpose other than that for which they are responsible.
Any content you post to public areas of the Services (e.g. the comment section on web pages) is available for public viewing Once displayed on publicly viewable web pages, your content can be collected and used by others.
(AS PROVIDED BY CALIFORNIA CIVIL CODE SECTION 1798.83)
A CALIFORNIA RESIDENT WHO HAS PROVIDED PERSONAL DATA TO A BUSINESS WITH WHOM HE/SHE HAS ESTABLISHED A BUSINESS RELATIONSHIP FOR PERSONAL, FAMILY, OR HOUSEHOLD PURPOSES (A "CALIFORNIA CUSTOMER") MAY REQUEST INFORMATION ABOUT WHETHER THE BUSINESS HAS DISCLOSED PERSONAL DATA TO ANY THIRD PARTIES FOR THE THIRD PARTIES’ DIRECT MARKETING PURPOSES. IN GENERAL, IF THE BUSINESS HAS MADE SUCH A DISCLOSURE OF PERSONAL DATA, UPON RECEIPT OF A REQUEST BY A CALIFORNIA CUSTOMER, THE BUSINESS IS REQUIRED TO PROVIDE A LIST OF ALL THIRD PARTIES TO WHOM PERSONAL DATA WAS DISCLOSED IN THE PRECEDING CALENDAR YEAR, AS WELL AS A LIST OF THE CATEGORIES OF PERSONAL DATA THAT WERE DISCLOSED.