Data Protection at Florio
The protection of information and data is our top priority. Our products have been designed in accordance with the EU General Data Protection Regulation (GDPR) and UK General Data Protection Regulation, and we have implemented comprehensive measures to protect data based on state-of-the-art technology, including data storage in the EU, encryption of data during transfer and storage, strictly controlled access to data, external security testing, and more.
Please read below what measures we take to protect your data. If you want to know more about data protection at Florio, please review the data privacy policies for our products or send us an e-mail: privacy@florio.com.
Data protection according to GDPR
We store data on servers in the EU and in accordance with the EU General Data Protection Regulation (GDPR) and UK General Data Protection Regulation. With the aid of our external data protection officers, we take comprehensive measures for the security, storage and transfer of data.
Encryption methods and secure data base storage
Florio uses multiple encryption methods to enable data security during data storage and data transfer. This includes encryption of stored data and secure data transmission using end-to-end encryption technology.
Continuous review of security measures
Our systems are regularly tested by external security experts, who probe the systems for vulnerabilities to malicious attacks or accidental data loss.
Medical research based on non-identifiable data
Data may be used in non-identifiable form only, to advance medical research and improve patient outcome. Non-identifiable means that the data cannot be allocated to a person’s identity. The access to this non-identifiable data would be granted for medical research purposes only and is governed by an independent external Data Governance Board, consisting of internationally renowned medical experts and patient association representatives. All healthcare stakeholders, including the parent company Sobi are subject to the Data Governance Board procedures for obtaining access to non-identifiable data.
Questions or Ideas?
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