DIJITUP · LEGAL INFORMATION
KVKK Data Protection Notice
This notice describes personal data related to site visits, contact, services and payment links. The stated business name is Dijitup.com Dijital Ajans. It should not be treated as a final legal notice until the actual processing and application workflows have been verified.
Data controller and contact
The stated business name of the data controller is Dijitup.com Dijital Ajans. You may use the contact form linked at the end of this page for initial contact about the site or your personal-data request. Identity verification and the response process specific to such a request must be handled separately; a general contact form alone does not mean every application has been completed in the legally prescribed manner.
Data categories and collection methods
Contact-form, phone and WhatsApp conversations may involve your name, company name, phone number, message and service enquiry. Proposals, invoices and transaction information may be processed during contracting. Site operation may generate technical data such as IP address, visit time, browser and security logs. For a payment link, the payment provider processes card data on its own screen, while DijitUP may hold records such as amount, transaction status and reference. Data may be obtained directly through communication channels, automatically through technical records, or through contract and payment processes.
Purposes and legal grounds
Where the conditions apply, data needed to respond to an enquiry, prepare a proposal and establish or perform a service contract may rely on Article 5(2)(c) of Turkey's Personal Data Protection Law (KVKK); invoicing and accounting data on Article 5(2)(ç), legal obligation; and security or dispute records, depending on the specific assessment, on Article 5(2)(e), establishing or protecting a right, or Article 5(2)(f), legitimate interest without harming fundamental rights. The legal ground for each activity and category must be verified against the actual workflow. Marketing and non-essential analytics or advertising technologies require separate explicit consent or another applicable legal condition where necessary. An enquiry alone is not permission for marketing.
Recipient groups and purposes of transfer
Authorized DijitUP staff and partners may receive necessary data to handle enquiries and services; hosting and infrastructure providers to operate the site; phone and messaging providers to deliver communications; a payment institution and bank to collect payment; and accountants, legal advisers and competent public authorities for legal duties or disputes. The exact provider list and access to each data category must be verified before implementation.
International transfers and retention
Using Wix, WhatsApp or other international services may involve international data transfers. It would be inaccurate to say there are no such transfers before verifying the actual transfer map and an appropriate mechanism under Article 9 of KVKK. Data should be kept only as long as needed for its purpose or required by law, and then deleted, destroyed or anonymized. Specific periods for customer, payment, technical and cookie-preference records must be determined from business records.
Your rights and applications
Under Article 11 of KVKK, you may ask whether your data is processed; request information; learn the purpose and whether data is used accordingly; learn of third-party recipients; request correction and, where conditions apply, deletion or destruction; request notification of those operations to recipients; object to results produced solely by automated analysis; and claim compensation for damage caused by unlawful processing. For initial contact, write ‘KVKK application’ in the message field of the contact form. The identity-verification and response procedures required by law must then be followed separately. This notice is not an explicit-consent declaration.
For questions about this page, please use our contact form.
