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선우실업본사

Privacy policy

Privacy policy

Check out our privacy policy.

Objective of privacy policy

- Collect customer information to answer customer inquiries and provide information


Privacy and period of holding personal information

Personal information collected for customer inquiries and its holding period is as follows.


- Recording items: customer information needed to answer customer inquiries and provide information

- Record-keeping period: three years

- Justification: personal identification, prevention of illegal/unauthorized use by jay customers, record-keeping for dispute mediation, handling of complaints, forwarding notice, confirmation of intention to delete messages. Information deemed necessary to preserve subject to related laws and regulations and its record-keeping period is as follows.


1. Information included in critical marketing documents and commercial books: 10 years (Commercial Act)

2. Information related to transactions and supporting documents: 5 years (Basic Act on National Tax, Corporate Income Tax Act)

3. Record-keeping on label advertisement: 6 months (Act on Consumer Protection in Electronic Commerce, etc.)

4. Record-keeping on contracts or withdrawal of subscription: 5 years (Act on Consumer Protection in Electronic Commerce, etc.)

5. Record-keeping on payment and supply of goods, etc.: 5 years (Act on Consumer Protection in Electronic Commerce, etc.)

6. Record-keeping on consumer complaints or settlement of disputes: 3 years (Act on Consumer Protection in Electronic Commerce, etc.)

7. When obtaining user consent individually: consent duration
* Records are physically or logically discard upon expiry of consent duration.


Rights・duties of information party and legal attorney and exercise of such rights

1. Party to information may exercise its rights on accessing ・correcting・deleting personal information and demanding to stop handling it to the Company at any time.

2. Rights as specified in the foregoing clause may be exercised to the Company in written or via e-mail subject to Clause 1, Article 41 of Enforcement Ordinance of Personal Information Protection Act and the Company shall immediately take measures without delay.

3. The rights as specified in 1. May be exercised via a legal attorney or the information protection party or an entrusted party in which case letter of attorney as per enclosure no. 11 on “notice on privacy policy(2020-7)” shall be submitted.

4. Information party’s right to access personal information or demand to stop handling personal information may be restricted subject to Clause 4, Article 35 and Clause 2, Article 37 of Personal Information Protection Act.

5. Demand or correct or delete personal information shall not be made in case another regulation specifies the particular personal information to be subject to collection.

6. In case of a demand to access, delete, correct or access upon demanding suspension of privacy policy as a way of exercising right by information party, the Company shall confirm whether or not the demanding party is the owner of the personal information or is the legitimate attorney.


Personnel and team responsible for privacy policy

1. Team in charge of managing personal information: Online Business Division

2. Personnel in charge of managing personal information

- Name: Taehoon kang

- E-mail: info@esunwoo.com

- Contact no.: +82(0)31-793-4143


Privacy items

: The Company handles the following privacy items.


1. Name, contact no., e-mail

2. Sunwoo IND. uses ‘cookie’, which saves information about you and frequently search its. Cookie is a small amount of information the website sends to your computer browser(Chrome, Edge, Internet Explorer, etc.). When you visit the website, Sunwoo IND. computer reads cookie in your browser with which it can provide service without entering additional information about you such as your name. Cookie can identify your computer but not you personally. Also, you do not have the right to choose cookie. You can only accept all cookies in tool>Internet option tab at the top of the web browser, send a notice when cookie is installed or reject all cookies.


Actions for personal information security

: The Company takes the following actions for personal information security.


1. Administrative action: establish ・execute internal management plan, provide regular training to employees, etc.

2. Technical action: manage access authority to personal information processing system, install access control system, encode identification number, install security program

3. Documents containing personal information, auxiliary storage media, etc. are stored in a safe place with a lock