In compliance with article 10.1 of Law 34/2002, of July 11, on Services of the Information Society and Electronic Commerce (LSSI), the identification data of the owner are indicated:

  • Responsible party: COMPAÑÍA BF DE COMERCIO, S.A.U., (hereinafter, “Compañía BF de Comercio”)

  • CIF: A78017001

  • Registered office: Polígono Industrial Santa Ana, Avda. De la Técnica, 1, 28522 Rivas Vaciamadrid, Madrid.

  • Registry data: Registered in the Madrid Mercantile Registry, in volume 278 of the Archive, General section, on page 176, page No. M-5617, 21st entry

  • Contact information: bfclientes@bfdecomercio.es | Tel. (91) 670 28 70 | Fax: (91) 670 28 74

  • Trademark registered in Spain: "COMPAÑÍA BF DE COMERCIO" registration number: M2947292 and M2928304


Access to this website is free and viewing it does not require prior subscription or registration. Users must use the information contained in this website in compliance with the applicable legislation in each case, respecting the intellectual property rights of Compañía BF de Comercio or third parties.

The user will not carry out, through the services that Compañía BF de Comercio makes available, any action that causes damage or alterations in the contents, nor will it hinder the proper functioning of the website. The user may not copy, distribute, transmit, present, perform or in general reproduce in any way, publish, authorize or create any work based on the information or content incorporated in this website. It will not cause technical problems of any kind, transferring elements that may carry computer viruses or damage, interfere or totally or partially intercept this website.

Compañía BF de Comercio is not responsible in any case for the inappropriate use of this website or its contents, nor for the consequences that its use may originate.


Compañía BF de Comercio does not guarantee that its pages are operational, nor that its contents are complete, exact or reliable at all times. Compañía BF de Comercio reserves the right to modify at any time, without prior notice, the contents of this website and the General Conditions of Access.

Compañía BF de Comercio does not assume any legal responsibility for consequential, punitive, incidental, indirect or special damages, related to this website or derived from it, whether or not the parties are aware, real or implicit, of the damages they may incur. .

In the event of maintenance, repair, updating or improvement of services, Compañía BF de Comercio has the right to temporarily suspend access to this website without prior notice, as well as reserve the right to provide or cancel the services , without prejudice to making it known to users if circumstances allow it.

Any liability for damages of any nature that may arise from the lack of availability or continuity of the site and its services and the usefulness that users may have attributed to this website is excluded. Compañía BF de Comercio does not grant any express or implicit guarantee on the website, or the Contents and Services that are incorporated in it, relating, among others, to the availability and continuity of the website's operation, level of quality and functionality of the website. website, content update, error or omission of information contained, viruses and other elements that may damage computer systems, electronic documents and files stored in the computer system.

Through this Privacy Policy, the user is informed in a clear, precise and concise way. If the user accepts it, they will give us their consent in a free, informed, specific and unequivocal way for Compañía BF de Comercio to process their personal data, in accordance with Regulation (EU) 2016/679 regarding the protection of natural persons, through the processing of your personal data and its free circulation (RGPD) and Organic Law 3/2018, of December 5, on the Protection of Personal Data and guarantee of digital rights (LOPDGDD) (current European and national legislation on protection matters of data)



Responsible for the treatment


Purposes of the treatment

Response to queries and doubts, provision of the service and possible sending of information about the products and services.


Consent of the interested party (article 6.1.a of the RGPD).

Contractual relationship with the interested party (article 6.1.b of the RGPD).


The GPF Group companies detailed in http://www.grupogpf.com/NuestroGrupo.

They may also have access: Tax Administration, Banks and financial entities, Security Forces and Bodies, Responsible for the Treatment necessary for the provision of the service.

Rights and additional information

The exercise of the rights of access, rectification or deletion, among others, is allowed. All information is accessible in the detailed information of this privacy policy.




2.2.1 Who is responsible for the treatment?

The identification data of the Data Controller appear in section 1.

2.2.2 What information do we collect and deal with the user through the website?

  • Through the Contact form

On our website you will find the option to write to us to clarify all the doubts you may have in relation to the operation of our products / services or anything else you need. To answer, we will contact you via email or telephone number, if you have provided it to us.

  • Through our corporate email & nbsp;

Through our email & nbsp; bfclientes@bfdecomercio.es you can write to us and / or request the information you consider necessary to clarify doubts related to our services.

  • Reception of candidatures. Work with us

On our website there is a section where you can provide us with your Curriculum Vitae if you are interested in being part of the Grupo Pl & aacute; s Ferro team. Shall complete the process from the GPF - Grupo Pl & aacute; sticos Ferro website (https://www.grupoplasticosferro.com/ Home / TrabajaConNosotros / index.html? __ locale = es) and your CV will remain registered in the GPF selection system, and can only be shared by the companies of the Group.

In the event that the user provides us with third-party data, they will assume the responsibility of having previously informed you and having your consent to do so, in accordance with article 14 of the RGPD.

2.2.3 With what purpose do we treat the user's personal data?

Compañía BF de Comercio realiza un tratamiento de datos personales con las finalidades que se exponen a continuación, en función del motivo para el que hayan sido facilitados:

  1. Carry out the provision of the contracted products / services, the maintenance of the contractual relationship and its monitoring.

  2. Contact, process, manage and respond to the request, request, incident or query of the user (either through email, contact form or telephone).

  3. Manage the customer's purchase process and any queries associated with the contracted products / services.

  4. Manage, where appropriate, the sending of information about products, services and news associated with Compa & ntilde &ía BF de Comercio by electronic and / or conventional means.

  5. Assess and manage, where appropriate, the curriculum vitae provided by the user for selection processes that adapt to their professional profile and carry out the necessary actions for the selection and hiring of personnel.

 2.2.4What is the legitimacy of the processing of user data?

  • The legal basis for the processing of your personal data for the purposes set out in the previous section is the execution of the corresponding service , and it is an imperative obligation for this, such and as established in article 6.1, b) of the RGPD.

  • Regarding the sending of information about products, services and news associated with Compa & ntilde &ía BF de Comercio, the legal basis for the treatment of the personal data provided is the consent granted by the user expressly, as established in article 6.1, a) of the RGPD.

  • The legal basis for the processing of the data of the person who provides Compa & ntilde; a BF de Comercio his Curriculum Vitae (CV) and other related data (identifying and professional) will be forever the consent granted by the user expressly, as established in article 6.1, a) of the RGPD.

 2.2.5 For how long will the user's personal data be processed?

  • The data for management of the relationship with the client and the billing and collection of services will be kept for as long as the contract is in effect. current. Once said relationship has ended, if applicable, the data may be kept for the time required by the applicable legislation and until the eventual responsibilities derived from the contract are prescribed.

  • The data for the management of queries and requests will be kept for the time necessary to respond to them, and where appropriate, as long as the interested party does not request the withdrawal of their consent to send them information related to your inquiry.

  • The data for the sending of information associated with products or services of Compa & ntilde &ía BF de Comercio will be kept as long as the user does not revoke their consent.

  • The Curriculum Vitae (CV) data of the candidate for selection processes will be kept for a maximum of two years.

 2.2.6 What to do recipients will communicate the user's personal data?

As a general rule, your data will not be transferred to third parties unless there is a legal obligation or it is necessary to carry out the provision of the service. Taking this into account:

  • The user's personal data could be communicated to the financial entities through which the collection and payment management is articulated.

  • Only in legally necessary cases, the data will be communicated to the State Security Forces and Bodies.

  • They could also be communicated to the competent Public Administrations in the cases provided by Law.


  • Where appropriate, they will also be communicated to the Treatment Managers of Compa & ntilde &ía BF de Comercio for the correct provision of the service.

 2.2.7 What are the user's rights?

The regulations on data protection allow you to exercise your rights of access, rectification, deletion and portability of data and opposition and limitation to its treatment, as well; as not to be the subject of decisions based solely on the automated processing of your data, when appropriate.

These rights are characterized by the following:

  • Its exercise is free, except in the case of manifestly unfounded or excessive requests (eg repetitive nature), in which case Compa & ntilde; &ía BF de Comercio may charge a fee proportional to the administrative costs incurred or refuse to act.

  • You can exercise the rights directly or through your legal or voluntary representative.

  • We must respond to your request within one month, although, taking into account the complexity and number of requests, the period can be extended for another two months.

  • We have the obligation to inform you about the means to exercise these rights, which must be accessible and without being able to deny you the exercise of the right for the sole reason of choosing another means. If the application is submitted by electronic means, the information will be provided by these means when possible, unless you ask us to do otherwise.

  • If Compa & ntilde; a BF de Comercio does not proceed with the request, it will inform you, within a month at the latest, of the reasons for its failure to act and the possibility of claiming before a Control Authority.

In order to facilitate their exercise, we provide you with the links to the request form for each of the rights:








To exercise your rights, Compa & ntilde; &ía BF de Comercio puts at your disposal the following means:

1. By means of a written and signed request addressed to Compa & ntilde &ía; a BF de Comercio. Ref. & Ldquo; Exercise of LOPD Rights & rdquo ;.

2. Sending a scanned and signed form to the email address bfclientes@bfdecomercio.es indicating in the subject "Exercise of LOPD Rights".

In both cases, you must prove your identity by accompanying a photocopy or, where appropriate, a scanned copy of your ID or equivalent document to verify that we only respond to the interested party or their legal representative, having to provide in this case a document proving the representation.

Likewise, and especially if you consider that you have not obtained full satisfaction in the exercise of your rights, we inform you that you may file a claim with the national supervisory authority, addressing for these purposes the Agencia Española de Protección de Datos (AEPD), c/ Jorge Juan, 6 – 28001 Madrid (www.aepd.es).

 2.2.8 What do we have security measures in place?

At Company BF de Comercio we are committed to protecting your personal information.

We use measures, controls and procedures of a physical, organizational and technological nature, reasonably reliable and effective, aimed at preserving the integrity and security of your data and guaranteeing your privacy.

In addition, all personnel with access to personal data have been trained and are aware of their obligations in relation to the processing of their personal data.

In the case of the contracts that we sign with our suppliers, we include clauses in which they are required to maintain the duty of secrecy regarding the personal data to which they have had access by virtue of the order carried out, as well as how to implement the technical and organizational security measures necessary to guarantee the confidentiality, integrity, availability and permanent resilience of the systems and services for the treatment of personal data.

All these security measures are periodically reviewed to guarantee their suitability and effectiveness.

However, absolute security cannot be guaranteed and there is no security system that is impenetrable, so that, in the case of any information subject to treatment and under our control, it is compromised as a result of a breach of security, we will take the appropriate measures to investigate the incident, notify the Control Authority and, where appropriate, those users who may have been affected so that they take the appropriate measures.

The domain  www.bfdecomercio.es is owned by Compañía BF de Comercio and the authorization for its use has been granted to Compañía BF de Comercio.

This website incorporates trademarks, logos, designs and slogans, all of which are owned by Compañía BF de Comercio or any of its subsidiaries. The User expressly recognizes this ownership and understands that he does not acquire any rights over them, nor can he modify or make use of them. All these trademarks, without the express written consent and signed by their owners, will be for unauthorized use. The user is not authorized to use, on any other website, the trademarks of Compañía BF de Comercio as links without the written consent of Compañía BF de Comercio.

The user will not be able to copy, modify, distribute, transmit, reproduce, publish, assign, sell the aforementioned elements or create new products or services derived from the information obtained without expressly citing its origin.

The website of Compañía BF de Comercio contains texts that are intended to inform its users. Any errors or omissions in the generated content will not make liable in any case Compañía BF de Comercio.




  • What you should know about Cookies


Cookies (cookies) are small files that store information on the devices of Users who use our Website..


Cookies are associated with the browser of a specific computer or device. Thanks to them, it is possible for Compañía BF de Comercio to recognize Users' browsers; They also serve to determine your browsing preferences and, based on this, evaluate your preferences and can use them as indicators, all of this to improve the offer of services.


  • The acceptance of cookies in Compañía BF de Comercio


Law 34/2002, of July 11, on the Information Society and Electronic Commerce (hereinafter, LSSICE) in relation to cookies requires that Users be informed prior to the experience of navigation on the platform about the use, type and purpose of cookies. That is the reason why we have implemented an informative notice that is displayed once you access our website, informing you in advance, giving you the option to choose the cookies that you allow and expressly accepting them. , thus fulfilling with the criteria established by the Committee European Data Protection andGuide on the use of cookies published by the AEPD in July 2020 (https://www.aepd.es/sites/default/files/2020-07/guia-cookies.pdf).






  • Technical or functional cookies:

They are those that allow the user to navigate through a web page, platform or application and the use of the different options or services that exist in it, including those that the editor uses to allow the management and operation of the website and enable its functions and services, such as, for example, controlling traffic and data communication, identifying the session, accessing restricted access parts, remembering the elements that make up an order, carry out the purchase process of an order, manage payment, control fraud related to service security, make a request for registration or participation in an event, count visits for billing purposes. n of licenses of the software with which the service works (website, platform or application), use security elements during navigation, store content s for the broadcast of videos or sound, enable dynamic content (for example, animation of loading a text or image) or share content through social networks.


Also belonging to this category, due to their technical nature, are those cookies that allow the management, in the most efficient way possible, of the advertising spaces that, as one more design element; oo & ldquo; layout & rdquo; of the service offered to the user, the editor has included in a web page, application or platform based on criteria such as edited content, without collecting information from users for different purposes, such as personalizing that content advertising or other content.


*Technical cookies will be exempted from complying with the obligations established in article 22.2 of the LSSI when they allow the service requested by the user to be provided, as is the case with the cookies listed in the previous paragraphs. However, if these cookies are also used for non-exempt purposes (for example, for behavioral advertising purposes), they will be subject to these obligations.


  • Preference or customization cookies:

They are those that allow the information to be remembered so that the user accesses the service with certain characteristics that can differentiate their experience from that of other users, such as, for example, the language, the number of results to show when the The user performs a search, the appearance or content of the service depending on the type of browser through which the user accesses the service or the region from which he accesses the service, etc.


*If the user himself chooses these characteristics (for example, if he selects the language of a website by clicking on the icon of the flag of the corresponding country), the cookies will be exempted from the obligations of the article. 22.2 of the LSSI because it is considered a service expressly requested by the user, and this as long as the cookies exclusively obey the selected purpose.


  • Analysis or measurement cookies:

They are those that allow the person responsible for them to monitor and analyze the behavior of the users of the websites to which they are linked, including the quantification of the impacts of the advertisements. The information collected through this type of cookies is used to measure the activity of the websites, application or platform, in order to introduce improvements based on the analysis of the usage data that service users do.


*This type of cookies, despite the fact that they are not exempt from the duty to obtain informed consent for their use, GT29 stated that it is unlikely that they represent a risk to the privacy of users as long as it is the first party, that they treat aggregate data for a strictly statistical purpose, that information on their uses is provided and the possibility of that users express their negative about its use.


  • Behavioral advertising cookie:

They are those that store information on the behavior of users obtained through continuous observation of their browsing habits, which allows the development of a specific profile to display advertising of the function of the same.



  • The cookies that we use in Compañía BF de Comercio

The table below includes the details, purpose, type and classes of cookies that we have implemented on our platform. For your understanding, we detail below the types of cookies that can be used if you give us your consent:




Objective / Purpose


Type (own / third parties)



These cookies are session identifiers provided by the portal's content manager. They are used to identify a user who browses our website.

1 day

Functional and Customization



Stores user consent preferences on cookies

1 year

Functional and Customization



This cookie is installed by Google Analytics. It was used to distinguish users

2 years




This cookie is installed by Google Analytics. It is used to know the number of visitors, how they use the web and to know if it is there. working correctly

1 day





If a user wishes to uninstall the cookies used in www.bfdecomercio.es from his browser, then we leave the instructions for different browsers:

  1. For more information on Internet Explorer click  here.


  1. For more information on Microsoft Edge click here.


  1. For more information about Firefox click here.


  1. For more information about Chrome click here.


  1. For more information about Safariclickse here.




The BF de Comercio company may modify this legal text in accordance with the applicable legislation at all times. In any case, any considerable modification that affects the use of the website of the Legal Notice, the Privacy Policy and the Cookies Policy, will be for you. duly notified to the user so that they are informed of the changes made in the processing of their personal data and, in the event that the applicable regulations thus apply; required, the user can grant their consent.

Our legal texts are governed by Spanish law. These texts will remain accessible to users at all times from our website.

If the parties do not agree to submit to mediation or arbitration previously, this legal notice establishes the agreement to submit to the Courts and Tribunals of Madrid, expressly renouncing any other jurisdiction.

Compañía BF de Comercio reserves the right to modify these General Conditions at any time and without prior notice.

All notifications, requirements, agreements, consents, acceptances, approvals or communications of any kind that are required in accordance with these General Conditions, or related to them, must be formulated in writing and sent to Compa & ntilde; & iacute ; to BF de Comercio by mail to the company's registered office or to the attention of the Legal Department.


Last modification: 05/03/2021