Social Media Privacy Policy | NICHE BEAUTY LAB
Imprint and Privacy Policy for Social Media Fan Pages
NICHE BEAUTY LAB, s.l., sociedad Unipersonal
Calle Germans Bassas 2
08360 Canet de Mar
Barcelona, Spain
Telephone: +34 972 330 787
E-mail: question@nichebeautylab.com
Internet: https://nichebeautylab.com
General Management: Sergio Chorrero Ortega
Local Court / Commercial Register: Barcelona IRUS: 1000384101858, page B-600.486
VAT registration number: ESB55329759
Despite diligent review of the contents, NICHE BEAUTY LAB assumes no liability for the content of external links. The contents of the linked pages are the sole responsibility of their operators. The contents of this Internet site have been carefully compiled and reviewed. Despite the review of the contents, NICHE BEAUTY LAB assumes no liability or responsibility for the nature or accuracy of the information on this site, neither expressed nor implied.
Privacy Policy for our Social Media Fan Pages
Latest update: May 2026
In this Privacy Policy, we provide information about the processing of personal data when you visit or use the social media fan pages of NICHE BEAUTY LAB, s.l., sociedad Unipersonal ("NICHE BEAUTY LAB" or "we").
This Privacy Policy applies to all of our social media fan pages, in particular our pages and channels on:
Facebook and Instagram (Meta)
TikTok
YouTube (Google)
Pinterest
LinkedIn
For each platform, the respective platform operator and NICHE BEAUTY LAB may be jointly or separately responsible for the processing of personal data, as described in more detail in Section 1 below.
This Privacy Policy supplements our general Privacy Policy, which is available at:
https://nichebeautylab.com/en/pages/privacy-policy
1. Controllers
NICHE BEAUTY LAB is responsible for the personal data that we process in connection with operating our social media fan pages – in particular in connection with communication with users, content moderation, and the use of statistics and insights made available to us by the platform operators.
Our contact details:
NICHE BEAUTY LAB, s.l., sociedad Unipersonal
Calle Germans Bassas 2, 08360 Canet de Mar, Barcelona, Spain
E-Mail: question@nichebeautylab.com
In addition, the respective platform operators are responsible – independently or jointly with us – for data processing in connection with your use of their platforms. The relevant platform operators are:
Facebook and Instagram (Meta Platforms Ireland Limited)
4 Grand Canal Square, Grand Canal Harbour, Dublin 2, Ireland ("Meta")
Meta Platforms Ireland Limited and NICHE BEAUTY LAB are joint controllers for certain processing of personal data in connection with our Facebook and Instagram fan pages ("Fanpages"), in particular with regard to the use of the "Insights" function. The relevant agreement ("Page Insights Controller Addendum") is available at:
https://www.facebook.com/legal/terms/page_controller_addendum
Meta is generally responsible for data processing in connection with your use of the Facebook and Instagram platforms. We are responsible for the data that we process in connection with operating our Fanpages, particularly where we communicate with users, moderate content, or use the Insights statistics made available to us by Meta.
Further information: https://www.facebook.com/about/privacy/
TikTok
TikTok Information Technologies UK Limited, 4 Lindsey Street, Barbican, London, EC1A 9HP, United Kingdom ("TikTok UK"), and TikTok Technology Limited, 10 Earlsfort Terrace, Dublin, D02 T380, Ireland ("TikTok Ireland") (together: "TikTok")
TikTok and NICHE BEAUTY LAB are joint controllers for certain processing of personal data in connection with our TikTok fan pages, in particular with regard to the use of "TikTok Analytics". The relevant agreement ("TikTok Analytics Joint Controller Addendum") is available at:
https://www.tiktok.com/legal/page/global/tiktok-analytics-joint-controller-addendum/en
TikTok is generally responsible for data processing in connection with your use of the TikTok platform. We are responsible for the data we process in connection with operating our TikTok fan pages, particularly in relation to communication, content moderation, and the use of analytics made available by TikTok.
Further information: https://www.tiktok.com/legal/page/eea/privacy-policy/en
YouTube (Google Ireland Limited)
Gordon House, Barrow Street, Dublin 4, Ireland ("Google")
Google is generally responsible for the processing of personal data in connection with your use of YouTube as a platform. We are responsible for the processing of personal data in connection with the operation of our YouTube channel, particularly where we communicate with users, moderate content, or use the channel statistics and insights made available to us by Google.
Further information: https://policies.google.com/privacy | https://www.youtube.com/t/terms
Pinterest Europe Ltd., Waterloo Exchange, 3rd Floor, Waterloo Road, Dublin 4, Ireland, and Pinterest, Inc., 651 Brannan St., San Francisco, CA 94107, USA (together: "Pinterest")
According to Pinterest's Privacy Policy, Pinterest Europe Ltd. and Pinterest, Inc. are joint data controllers for Pinterest's processing of personal data in the EEA, Switzerland and the UK, with Pinterest Europe Ltd. being responsible for fulfilling key obligations under the GDPR. We are responsible for the personal data that we process ourselves in connection with operating our Pinterest channel, particularly where we communicate with users, moderate content, or use the business insights and statistics made available to us by Pinterest.
Further information: https://policy.pinterest.com/en/privacy-policy
LinkedIn (LinkedIn Ireland Unlimited Company)
Wilton Plaza, Wilton Place, Dublin 2, Ireland ("LinkedIn")
LinkedIn Ireland Unlimited Company and NICHE BEAUTY LAB are joint controllers for certain processing of personal data in connection with our LinkedIn fan page(s), particularly with regard to Page Insights. The relevant agreement ("Page Insights Joint Controller Addendum") is available at:
https://legal.linkedin.com/pages-joint-controller-addendum
LinkedIn is generally responsible for the processing of personal data in connection with your use of the LinkedIn platform. We are responsible for the processing that takes place specifically in connection with operating our LinkedIn fan page(s), particularly where we communicate with users, moderate content, or use the Page Insights made available to us by LinkedIn.
Further information: https://www.linkedin.com/legal/privacy-policy | https://www.linkedin.com/legal/privacy/eu
2. Data Protection Officer Contact
Our data protection officer is:
CTM-COM GmbH, Moritz Görmann
Marienburgstraße 27, D-64297 Darmstadt, Germany
Tel. +49 6151 – 394272
Email: m.goermann@ctm-com.de
You can also contact the data protection officers of the respective platform operators directly:
Facebook / Instagram (Meta): https://www.facebook.com/help/contact/540977946302970
TikTok: https://www.tiktok.com/legal/report/DPO/en
YouTube / Google: https://support.google.com/policies/answer/9581826
Pinterest: https://help.pinterest.com/en/data-protection-officer-contact-form
LinkedIn: https://www.linkedin.com/help/linkedin/ask/TSO-DPO
Because the platform operators process personal data on their platforms under their own responsibility, requests concerning their respective data processing should generally be addressed directly to the relevant platform operator using the contact options they make available.
3. Data Processing by the Platform Operators
When you visit or use our social media fan pages, the respective platform operator may process personal data about you. Below we describe the key processing activities for each platform.
3.1 Facebook and Instagram (Meta)
When you visit or use our Facebook or Instagram fan pages, Meta may process personal data about you. This may include, depending on how you use the service, device and log data, your interactions with our Fanpages and their content, usage data, as well as cookie and similar technology data.
As the operator of our Fanpages, we use the "Insights" function made available by Meta. Through Insights, we receive statistical information (e.g. total number of page views, likes, page activities). We receive this information in aggregated, anonymised form only, which means that we cannot attribute it to specific users. We also do not have access to the underlying personal data.
Information on Meta's use of cookies: https://www.facebook.com/policies/cookies/
Further information on Meta's data processing: https://www.facebook.com/about/privacy/
Full Data Use Policy: https://en-gb.facebook.com/full_data_use_policy
Information about Page Insights: https://www.facebook.com/legal/terms/information_about_page_insights_data
3.2 TikTok
When you visit or use our TikTok fan pages, TikTok may process personal data about you. This may include, depending on how you use the service, account and profile data, device and log data, your interactions with our TikTok fan pages and their content, usage data, as well as cookie and similar technology data.
As the operator of our TikTok fan pages, we use the "TikTok Analytics" function made available by TikTok. We receive this statistical information in aggregated, anonymised form only, which means that we cannot attribute it to specific users. We also do not have access to the underlying personal data.
Information on TikTok's use of cookies: https://www.tiktok.com/legal/page/global/cookie-policy/de
Further information on TikTok's data processing: https://www.tiktok.com/legal/page/eea/privacy-policy/en
3.3 YouTube (Google)
When you visit or use YouTube and our YouTube channel, Google may process personal data about you. According to Google's Privacy Policy and YouTube documentation, this may include – depending on how you use the service – identifiers, device and log data, location-related data, your interactions with videos and channels, search and watch history, as well as cookie or similar technology data.
As the operator of our YouTube channel, we use YouTube Studio and YouTube Analytics. Through these functions, we receive statistical information and insights about the use and performance of our channel and our content, such as views, watch time, interactions, audience information, reach and traffic sources. This data is made available to us in aggregated form only.
Information on Google's use of cookies: https://policies.google.com/technologies/cookies
Further information on Google's data processing: https://policies.google.com/privacy
Your data on YouTube: https://support.google.com/youtube/answer/9315727
3.4 Pinterest
When you visit or use Pinterest and our Pinterest channel, Pinterest may process personal data about you. According to Pinterest's Privacy Policy, this may include – depending on how you use the service and your settings – account and profile information, content, communications, device and log data, cookie or similar technology data, location information, usage data and inferences, and data from other sources.
As the operator of our Pinterest channel, we may use Pinterest business functions such as Pinterest Analytics, Pin Stats, Audience Insights and engagement tools. Through these functions, we receive statistical information and insights about the use and performance of our channel and our content. Certain real-time metrics may be estimates and may change over time.
Information on Pinterest's use of cookies: https://policy.pinterest.com/en/cookies
Further information on Pinterest's data processing: https://policy.pinterest.com/en/privacy-policy
Pinterest Analytics: https://help.pinterest.com/en/business/article/pinterest-analytics
3.5 LinkedIn
When you visit or use LinkedIn and our LinkedIn fan page(s), LinkedIn may process personal data about you. According to LinkedIn's Privacy Policy and European Regional Privacy Notice, this may include – depending on how you use the service – account and profile data, content and communications, device and log data, IP addresses, cookie IDs or similar identifiers, location-related data, and information about your interactions with LinkedIn pages, content, messages or advertisements.
As the operator of our LinkedIn fan page(s), we use the "Page Insights" function made available by LinkedIn. To generate Page Insights, LinkedIn may process data that members have provided to LinkedIn – such as job function, country, industry, seniority, company size and employment status – as well as information on how members have interacted with our LinkedIn fan page(s). We receive Page Insights only as aggregated statistical information. This means that we cannot attribute this information to specific users who have visited our LinkedIn fan page(s). LinkedIn does not provide us with personal data of individual members in connection with Page Insights.
Information on LinkedIn's use of cookies: https://www.linkedin.com/legal/cookie-policy
Further information on LinkedIn's data processing: https://www.linkedin.com/legal/privacy-policy | https://www.linkedin.com/legal/privacy/eu
4. Our Own Data Processing
If you interact with us through our social media fan pages – for example by posting comments, reacting to or sharing content, following our pages, mentioning us, or sending us private messages – we may receive additional information from you. This may include in particular your username, the profile information you make visible, the content of your comments, reactions or messages, and the time and type of your interaction.
We process this data for the following purposes:
Communication and interaction with you
Informing about our products and services
Better understanding the interests of our audience and optimizing our content (using aggregated platform statistics)
Advertising based on interests and publishing more relevant content on our fan pages
Content moderation: We may store comments, messages and related information (usually in the form of screenshots or documentation) if we decide to delete, hide, block or report such content because it is inappropriate or unlawful, or if we need such documentation for the assertion, exercise or defence of legal claims
Further information about us and our products is available at www.nichebeautylab.com. Our general Privacy Policy is available at:
https://nichebeautylab.com/en/pages/privacy-policy
5. Legal Basis for Our Data Processing
We operate our social media fan pages in order to inform about our products and services and to interact with you. Our processing is based on our legitimate interests pursuant to Art. 6(1)(f) GDPR, namely to maintain effective communications and interactions with users and to present our products and services in an optimized manner.
We also rely on our legitimate interests when we moderate content, store documentation, or inform the competent authorities about unlawful content. Our legitimate interest in this regard is the preparation for and enforcement of potential legal claims and the public interest in the investigation of unlawful conduct.
If you contact us through our social media fan pages in connection with a specific customer relationship or a contract, the processing may also be necessary for the performance of a contract or in order to take steps prior to entering into a contract pursuant to Art. 6(1)(b) GDPR.
Where, in individual cases, we ask for your consent to process personal data, the legal basis is Art. 6(1)(a) GDPR. You may withdraw your consent at any time with effect for the future.
We hereby inform you about your right to object, which you have when the processing is based on Art. 6(1)(f) GDPR (see Section 7(f) below).
6. International Transfers of Personal Data
The platform operators may process personal data about you on servers located outside the European Union / European Economic Area. Each platform operator provides information about international data transfers in their respective privacy policies:
Meta (Facebook / Instagram): Meta provides information on international data transfers in its Data Use Policy: https://en-gb.facebook.com/full_data_use_policy
TikTok: TikTok provides information on international data transfers in its Privacy Policy: https://www.tiktok.com/legal/page/eea/privacy-policy/en
Google / YouTube: Google relies, depending on the circumstances, on adequacy decisions, the EU-U.S. and Swiss-U.S. Data Privacy Frameworks including the UK Extension, and standard contractual clauses: https://policies.google.com/privacy/frameworks
Pinterest: Pinterest relies, for EEA, Swiss and UK data subjects, on adequacy decisions, the EU-U.S. Data Privacy Framework, the UK Extension and the Swiss-U.S. Data Privacy Framework, and standard contractual clauses, as well as additional technical and organisational protections: https://policy.pinterest.com/en/privacy-policy
LinkedIn: LinkedIn provides information on international data transfers in its Privacy Policy and European Regional Privacy Notice: https://www.linkedin.com/legal/privacy-policy
Any personal data that we receive directly from you through our social media fan pages and process ourselves will be handled in accordance with this Privacy Policy and our general Privacy Policy. We may inform the competent authorities about comments, messages or other content if we consider them unlawful.
7. Your Data Subject Rights
You can exercise the following rights against us using the contact details provided in Section 1 above. Where a platform operator processes personal data under its own responsibility, you may also exercise your rights directly vis-à-vis that platform operator using the contact options they make available.
(a) Right of Access
You have the right, at any time and on request, to obtain from us information about the personal data processed by us concerning you in accordance with Art. 15 GDPR. You can send a request by post or email to the contact address provided.
(b) Right to Rectification
You have the right to demand that we rectify, without undue delay, any inaccurate personal data concerning you in accordance with Art. 16 GDPR. Please contact us at the address provided.
(c) Right to Erasure
You have the right, under the conditions set out in Art. 17 GDPR, to demand that we erase personal data concerning you – in particular when the data is no longer required for the purposes for which it was collected, in cases of unlawful processing, or upon withdrawal of consent. To exercise this right, please contact us at the address provided.
(d) Right to Restriction of Processing
You have the right to demand that we restrict the processing of your personal data in accordance with Art. 18 GDPR – for example, if the accuracy of the data is disputed between you and us, or if the processing is unlawful but you prefer restriction to erasure. To exercise this right, please contact us at the address provided.
(e) Right to Data Portability
You have the right to receive the personal data concerning you that you have provided to us in a structured, commonly used and machine-readable format, in accordance with Art. 20 GDPR. To exercise this right, please contact us at the address provided.
(f) Right to Object
Under Art. 21 GDPR, for reasons arising from your particular situation, you have the right to object at any time to the processing of personal data concerning you which is carried out on the basis of Art. 6(1)(e) or (f) GDPR. We will cease processing your personal data unless we can demonstrate compelling legitimate grounds for the processing that override your interests, rights and freedoms, or if the processing serves the establishment, exercise or defence of legal claims.
(g) Right to Withdraw Consent
You have the right to withdraw consent given under Art. 7(3) GDPR at any time with effect for the future. Withdrawal of consent does not affect the lawfulness of processing carried out on the basis of that consent prior to its withdrawal.
(h) Right to Lodge a Complaint
You also have the right to lodge a complaint with a data protection supervisory authority. Where a platform operator processes personal data under its own responsibility, you may also exercise your rights directly vis-à-vis that platform operator.
The competent supervisory authority for NICHE BEAUTY LAB is:
Der Hessische Beauftragte für Datenschutz und Informationsfreiheit
(The Hessian Commissioner for Data Protection and Freedom of Information)
Wilhelmstraße 7, 65185 Wiesbaden, Germany
P.O. Box 31 63, 65021 Wiesbaden, Germany
Telephone: +49 611 14080
Email: poststelle@datenschutz.hessen.de
Internet: http://www.datenschutz.hessen.de
8. Managing Your Privacy Settings on the Platforms
Each platform operator offers you options to manage and control the processing of your personal data. We recommend that you make use of these options directly on the respective platform:
Facebook / Instagram (Meta)
Advertising preferences: https://www.facebook.com/settings?tab=ads
Your online choices: http://www.youronlinechoices.com
Further settings: https://www.facebook.com/help/contact/367438723733209
TikTok
Privacy settings: https://www.tiktok.com/legal/page/eea/privacy-policy/en
YouTube / Google
Your data in YouTube: https://support.google.com/youtube/answer/9315727
My Activity: https://myactivity.google.com
My Ad Center: https://myadcenter.google.com
Privacy tools: https://g.co/privacytools
Privacy and data settings: https://help.pinterest.com/en/article/your-privacy-and-data-settings
Data protection contact: https://help.pinterest.com/en/data-protection-officer-contact-form
Privacy settings: https://www.linkedin.com/mypreferences/d/categories/privacy