Video surveillance SAP Garden

Datenschutzinformation zur Videoüberwachung
Data protection information according to Art. 13, 14 GDPR
1. Name and contact details of the controller
Red Bull Stadion München GmbH (hereinafter referred to as "RBSM")
Toni-Merkens-Weg 4 | 80809 Munich
E-mail: privacy-rbsm@redbulls.com
Phone: + 49 89-30669101
2. Contact details of the data protection officer
Lawyer Jan Marschner
Markt 9 | 04109 Leipzig
3. Purposes and legal bases of the processing
To ensure the security of the SAP Garden and effective law enforcement, the SAP Garden is under video surveillance in accordance with Art. 6 (1) (f) GDPR. Video surveillance thus serves to protect property (burglary, theft, vandalism), personal protection (protection of physical integrity) and the exercise of domiciliary rights. In the context of video surveillance, it can happen that visitors are recognizable. The aforementioned purposes also represent our legitimate interests in accordance with Art. 6 (1) sentence 1 (f) GDPR.
Insofar as law enforcement authorities use video surveillance systems in the SAP Garden and in the vicinity of the SAP Garden on event days for danger prevention and criminal prosecution, this is done under their own responsibility within the meaning of Art. 4 No. 7 GDPR.
4. Categories of personal data
Photo and video recordings in which it cannot be ruled out that persons can be identified.
5. Recipients or categories of recipients of the personal data
Within the controller, those entities are granted access to data of the data subject that need such access to fulfil the contractual and legal obligations of the controller. Processors used by us (Art. 28 GDPR) may also access data for these purposes. These are companies in the categories of IT services, as well as stadium security and doorman services. In exceptional cases and insofar as this is necessary for the establishing of the facts or legal prosecution or defence or to ensure the safety of the event, persons subject to professional secrecy and authorities as well as event organisers or (potentially) injured parties may also be granted access.
6. Duration of storage
We do not store video surveillance recordings without cause. If recordings are obtained from the police on the basis of an incident, these recordings will be deleted after the purpose of processing has been achieved.
7. Rights of the data subject
Data subjects have the right to information from the controller about the personal data concerned (Art. 15 GDPR) as well as to rectification (Art. 16 GDPR) or deletion (Art. 17 GDPR) or to restriction of processing (Art. 18 GDPR) and a right to data portability (Art. 20 GDPR) as well as a right to object to processing (Art. 21 GDPR).
If the data subject is of the opinion that data processing violates data protection law, he or she has the right to complain to a data protection supervisory authority of his or her choice (Art. 77 GDPR in conjunction with § 19 BDSG). This also includes the data protection supervisory authority responsible for us: Bavarian State Office for Data Protection Supervision, https://www.lda.bayern.de/
8. Sources from which personal data originates
In principle, we collect all personal data concerning you directly within the framework of video surveillance.
Depending on the occasion, we may view or receive recordings from the police within the scope of the legal possibilities in order to clarify relevant riots or incidents in the SAP Garden. Furthermore, it may happen that we receive video and audio recordings from injured parties with factual information for the identification of the perpetrator.