Développeur-Csharp.com
Legal notice and privacy
Last updated: 9 October 2026
1. Website publisher
The website www.developpeur-csharp.com is published by:
- Full name
- Alain Example — Sole trader (EI)
- Trading name
- Csharp Developer
- Business address
- 10 rue Exemple, 75000 Paris, France — fictional address to be replaced
- SIREN
- [Your nine-digit SIREN number]
- SIRET
- [Your fourteen-digit SIRET number]
- Registration
- [RNE and RCS registration details where applicable]
- EU VAT number
- [Number where applicable; otherwise specify your actual status]
- contact@example.com — fictional address to be replaced
- Phone
- 06 00 00 00 00 — fictional phone number to be replaced
- Publication director
- Alain Example
The website presents software development and modernisation services and allows clients to log in to a client area and submit files.
2. Hosting
OVH SAS
2 rue Kellermann, 59100 Roubaix, France
Phone: 1007 from France; +33 9 72 10 10 07 from abroad.
Website: www.ovhcloud.com
3. Intellectual property and links
The website’s original content is protected by applicable intellectual property rights. Reproduction or reuse requires the rights holder’s permission, subject to legal exceptions. Third-party trademarks, software and content remain the property of their respective owners.
Links to third-party websites lead to content and privacy policies controlled by their respective publishers.
4. Data controller
Alain Example, a sole trader, is the controller for personal data processed to manage this website and client relationships. Requests regarding personal data can be sent to contact@example.com or to the business address given above.
Data, purposes and legal bases
| Processing activity | Data and use | Legal basis |
|---|---|---|
| Contact and quote requests | Contact details and message content used to respond to requests. [Specify the fields actually collected.] | Pre-contractual steps at your request where a service is being considered; a legitimate interest in responding to other enquiries. |
| Client area | Account identifiers, contact details and information needed to manage accounts and services. [Specify the data actually recorded.] | Performance of the contract; a legitimate interest in service security, depending on the processing concerned. |
| File uploads | Submitted files, file names and metadata needed to deliver the services. | Performance of the contract for data needed for the client relationship. For third-party data contained in files: roles and instructions must be agreed contractually. |
| IP addresses stored in the database | IP address and [other associated information]. Purpose: [state precisely why these IP addresses are retained]. | [To be determined according to the actual purpose. Do not automatically invoke security or a legal obligation.] |
| Google Analytics | Measurement of visits and website interactions; identifiers and technical information depending on configuration. | Consent for the relevant trackers and processing. |
| ShareThis | Sharing features; potential collection of identifiers, browsing data and IP addresses for analytics and advertising uses by the provider and its partners. | Consent for the relevant non-essential trackers and processing. |
| Automatic language selection | If the supplied ipwho.is mechanism is installed: the IP address is transmitted to determine the country and offer the Arabic version to visitors from the six Gulf countries. | A legitimate interest in adapting the website language, subject to assessing necessity and the provider’s safeguards. |
Information needed to process a request or access a service must be identified when it is collected. Without it, it may not be possible to respond, open an account or provide a service. Optional fields must be identified as such.
5. Files uploaded by clients
Files are submitted for the needs of the relevant project. The client must have the rights and permissions needed to share them and limit their content to data useful for the service.
Where a client entrusts third-party personal data to be processed on their behalf, roles, instructions, security measures and return and deletion conditions must be specified in a data processing agreement compliant with Article 28 of the GDPR, where that classification applies.
Access and security: [Describe authorised persons and safeguards actually applied to accounts, downloads, files and backups.] Do not describe the client area as “secure” without verifying the protections in place.
6. Recipients and transfers
Data is accessible to the publisher and authorised persons within the scope of their duties. OVH provides hosting. Google and ShareThis/Predactiv provide the enabled services; their respective roles depend on the contracts and settings used. ipwho.is receives the IP address when automatic geolocation is enabled.
Some providers may process data outside the European Economic Area. [Specify the contracting entities, countries involved and safeguards actually applicable: an adequacy decision, applicable certification, or standard contractual clauses and supplementary measures.] Information about these safeguards may be requested from the publisher.
7. Retention periods
Retention periods must match the settings and procedures actually applied. They cannot be determined by this page alone.
- Messages and contact requests: [specify the period and starting point].
- Client accounts and data: [specify retention during the relationship and subsequent archiving rules].
- Uploaded files and backups: [period after delivery or project closure; time limit for deleting backups].
- IP addresses recorded in the database: [period justified by the purpose; deletion procedure].
- Google Analytics data: [retention period configured in your property].
- ShareThis, Google Analytics and partner cookies: [inventory of names, purposes, providers and verified durations].
Documents subject to a legal retention obligation are archived for the period applicable to their category. [Identify the documents concerned and the exact periods.]
9. Your rights
Depending on the processing and the conditions of the GDPR, you may request access, rectification, erasure or restriction of your data, exercise your right to object and benefit from data portability where applicable. You may withdraw consent without affecting the lawfulness of earlier processing.
To exercise your rights: contact@example.com. Proof of identity may be requested only where there is reasonable doubt about your identity. A response is normally provided within one month; a justified extension may be required under the conditions of the GDPR.
You may also lodge a complaint with the CNIL.