Time left for the Opening

Personal Data Protection And Processing Policy

TURKISH PRESS AND PUBLISHERS COPYRIGHT AND LICENCING SOCIETY
PERSONAL DATA PROTECTION AND PROCESSING POLICY

This Personal Data Protection (PDP) Policy covers the following topics:
1. OBJECTIVE AND SCOPE
2. DEFINITIONS
3. PERSONAL DATA PROCESSING
3.1. Personal Data Categories and Objectives of Data Processing
3.2. Personal Data Collection Methods
3.3. Informing the Persons in Question
3.4. General Principles on Personal Data Processing
3.5. Personal Data Processing Conditions
3.6. Private Personal Data Processing
3.7. Personal Data Transfer
3.8. Protection and Disposal of Personal Data 
4. PERSONAL DATA PROTECTION
5. RELEVANT PERSONS’ RIGHTS ON THEIR PERSONAL DATA AND EXERCISE OF RIGHTS
5.1  Rights of Relevant Persons
5.2  Relevant Persons’ Exercise of Rights
5.3   Evaluation and Reply of Relevant Persons’ Applications
6.     RELATIONSHIP OF KVK POLICY WITH OTHER POLICIES
7.      EFFECTIVENESS OF PPDL POLICY AND CHANGES TO THE POLICY
8.        CONTACT US
 
1. OBJECTIVE AND SCOPE
 
The protection and privacy of personal data have been adopted as a corporate culture for TURKISH PRESS AND PUBLISHERS COPYRIGHT AND LICENCING SOCIETY (hereinafter “TBYM”). TBYM, within the scope of its activities, shows maximum care and effort to process and protect the personal data of real persons in accordance with the applicable legal norms and universal legal principles. TBYM is the data controller of the personal data you provide us, including related to this website, and process and protects personal data under this law.
This PPDL Law relates to the personal data of persons other than our employees, which TBYM, as Data Controller, processes fully or partially automatically or non-automatically, provided that it is a part of any data recording system.  PPDL shows how the principles set forth by the relevant legislation are applied in the PPDL processes of TBYM.
 
The relevant legislation, secondary regulations, and universal legal principles in force in this field, which will find application in the protection and legal processing of personal data. In case of conflict between our PPDL Law and the relevant regulations in force, the applicable regulations are valid.
We may change this law from time to time, so please check back when you use our services to make sure you see our updated law. 
 
2. DEFINITIONS
 
 
  1.  
  1.  
“Clear Consent” A consent that is concerning to a specific matter, based on keeping informed and explained by free will.
“Clarification Liability” The obligation of TBYM to inform the Data Controller or the persons authorized by him/her, during the collection of personal data, to the Related Persons within the scope of Article 10 of the PPDL Law and the Communique on the Procedures and Principles to be Complied with in Fulfilling the Disclosure Obligation.
“Relevant Person”, “Data Owner” Data owners whose personal data are processed by TBYM or authorized persons/institutions on behalf of TBYM are real persons.
  •  
The deletion, destruction or anonymization of personal data.
“Personal Data” Any information relating to an identified or identifiable real person.
  • Anonymization of personal data”
Even matching personal data with other data is the process of making it impossible to associate with an identified or identifiable real person under any circumstances.
“Personal Data Processing” Any operation performad on data such as obtaining, recording, storing, preserving, changing, rearranging, disclosing, transferring, taking over, making available, classifying and preventing the use of personal data by fully or partially automatic or non-automatic means provided that it is a part of any data recording system.
“Deletion of Personal Data” The process of making personal data inaccessible and unusable for the relevant users in any way.  
 
“Disposal of Personal Data” The process of making personal data inaccessible, unrecoverable, and unusable by anyone in any way.
  •  
the Board of Protection of Personal Data.
 
  •  

The law on the protection of personal data.
 
“Law”, “PPDL Law” Protection of Personal Data Law (“PPDL”) numbered 6698.
“PPDL Policy”
The Personal Data Protection and Processing Policy adopted by TBYM.
“Private Personal Data” Data about race, ethnic origin, political opinion, philosophical belief, religion, sect or other beliefs, costume and clothing, membership to associations, foundations or unions, health, sexual life, criminal convictions and security measures, as well as biometric and genetic data.
“Creating Profile” Using automated tools to process personal data to resolve certain things about people, such as analyzing or predicting their performance, reliability, economic situation, personal preferences, interests, behavior, location or movements in their operations.
  •  
Turkish Press and Publishers Copyright and Licencing Society
“VERBIS”, “Registry”
  1.  registration information system carried out by the presidency of the institution of the protection of personal data
“Data Processor” The real or legal person who processes personal data on behalf of the data controller based on the authority given by him/her.
“Data Controller” The real or legal person who determines the purposes and means of processing personal data and is responsible for the establishment and management of the data recording system.
 
 
 
3. PERSONAL DATA PROCESSING
 
3.1. Personal Data Categories and Objectives of Data Processing
TBYM, in line with the personal data processing purposes (ANNEX-1) specified in the Data Controllers Information System (VERBIS), is based on and limited to at least one of the personal data processing conditions specified in Articles 5 and 6 of the Law, primarily regarding the processing of personal data. It processes personal data in accordance with the general principles specified in the Law, including the principles specified in Article 4 of the Law. In accordance with Article 10 of the Law and secondary legislation, TBYM informs the relevant persons about the categories and purposes of data processing in the clarification texts.
 
3.2. Personal Data Collection Methods
 
TBYM collects personal data electronically or in writing, physically and electronically, in accordance with the personal data processing conditions specified in the PPDL Law and this PPDL Policy.
 
TBYM adopts the principle of acting in accordance with the law while obtaining personal data. As part of TBYM's activities, data is collected from third parties through data protection/transfer agreements and only as much as the activity requires, and measures are taken to ensure data security at this point.
 
3.3. Informing the Persons in Question
 
TBYM informs them about the rights they have within the scope of processing their personal data, in accordance with the provisions of Article 10 of the PPDL Law and the Communiqué on the Procedures and Principles to be Complied with in Fulfilling the Obligation of Clarification, the data controller, the methods in which the personal data is collected, the legal reason for the processing, the purposes, the purposes for which the personal data is transferred, and the persons concerned. 
 
3.4. General Principles on Personal Data Processing
TBYM complies with the "General Principles", which are mandatory to be complied with while performing personal data processing activities in Article 4 of the PPDL Law.
 
3.4.1. Processing in Compliance with Law and Integrity
 
TBYM manages personal data processing activities in accordance with legal norms, universal legal principles and honesty rules; informs the relevant persons as necessary to ensure the transparency of the processes; takes into account the interests and reasonable expectations of the person concerned in these processes. In this context, the data processing activity prevents the emergence of results that the person concerned does not expect and does not need to wait.

3.4.2. Ensuring Personal Data Is Accurate and Up-to-Date When Necessary
 
As a rule, personal data is processed upon the declaration of the relevant persons and as declared. TBYM does not have to investigate the accuracy of the data declared by the persons concerned and does not make such an application in accordance with the law and working principles. The data is deemed to be correct as declared. TBYM shows reasonable care and attention to keep the personal data within its legal entity accurate and up-to-date and not contain false information. It ensures the establishment of the necessary administrative and technical mechanism for updating the personal data in the relevant database, in case the changes in the processed personal data are communicated to the TBYM by the person concerned.
 
3.4.3. Processing for Specific, Explicit, and Legitimate Purposes
TBYM sets forth its legitimate and lawful data processing purposes in a specific and clear manner before starting the personal data processing activity, and processes personal data commensurately and in connection with TBYM's products and services.
 
3.4.4. Being Related to the Purpose for which they are Processed, Limited and Measured
 
Personal data is processed in a limited and measured way in connection with the purposes determined by TBYM and disclosed to the relevant person. TBYM takes care to ensure that the processing is to the extent that it achieves the purpose, taking into account the establishment of a reasonable balance between data processing and the intended purpose.
 
3.4.5. Retention for as Long as Required for the Purpose of Processing or Envisioned in the Relevant Legislation
 
TBYM retains personal data for as long as required by the legislation or for the purpose of processing. On the other hand, it deletes, destroys or anonymizes personal data when the period stipulated by the legislation expires or when all the purposes of processing are eliminated. As the Data Controller, TBYM has determined the retention periods, destruction periods and technical and administrative measures to be implemented in the Personal Data Retention and Disposal Policy, and is aware that it is obliged to ensure the preservation of personal data in accordance with these principles.
 
 
The principles in question are applied regardless of whether TBYM processes personal data based on express consent or in accordance with other data processing conditions. At this point, TBYM processes personal data in accordance with data processing conditions and general principles and fulfills its obligation to inform the relevant persons.
 
3.5. Personal Data Processing Conditions
TBYM processes personal data with the explicit consent of the person concerned or in accordance with these terms or conditions in case of existence of one or more of the other data processing conditions. In case the processed personal data is sensitive personal data, the conditions specified in the "Processing of Private Personal Data" heading of this Policy are applied.
 
3.5.1. The Presence of the Clear Consent of the Relevant Person
 
In case the data subject has clear consent on a particular subject, based on information and freely given, this data processing condition is in question. The clear consent obtained from the relevant person is kept by TBYM for the required period of time within the scope of PPDL legislation. In the presence of the following personal data processing conditions, personal data may be processed without the need for the clear consent of the person concerned.
 
3.5.2. Clearly Stipulated in Laws
 
If there is an express provision in the relevant law regarding the processing of that personal data, this data processing condition will be in question.
 
3.5.3. Failure to Obtain the Explicit Consent of the Person Related to the Cause of Actual Impossibility
 
In case the personal data of the person who is unable to express his/her consent due to actual impossibility or whose consent has not been given legal validity is necessary for the protection of his or someone else's life or physical integrity, the data of the data subject is processed based on this data processing condition.
 
3.5.4. Directly Relevancy to the Establishment or Performance of a Contract
 
Provided that it is directly related to the conclusion or performance of a contract to which the data subject is a party, if the processing of personal data is necessary, the processing takes place on the basis of this data processing condition.
 
3.5.5. Obligatory for the Data Controller to Fulfill his/her Legal Obligation
If the processing of personal data is necessary for TBYM to fulfill its legal obligations, the processing will be based on this data processing condition.
 
3.5.6. Personal Data Made Public by the Relevant Person Himself/Herself
 
Personal data made public by the person concerned is only processed for the purpose of making it public.
 
 
3.5.7. Requirement of Data Processing for the Establishment, Use or Protection of a Right
 
If data processing is necessary for the establishment, exercise or protection of a right, the personal data of the data subject is processed based on this data processing condition.
 
3.5.8. Obligatory Data Processing for the Legitimate Interests of the Data Controller
Provided that it does not harm the fundamental rights and freedoms of the person concerned, if data processing is necessary for the legitimate interests of TBYM, the processing is based on this data processing condition.
 
3.6. Private Personal Data Processing
TBYM processes sensitive personal data by complying with the additional measures announced by the Board of Protection of Personal Data and by taking all necessary administrative and technical measures, and in the presence of one of the following data processing conditions:
 
3.6.1. The Presence of the Clear Consent of the Relevant Person
 
3.6.2. The law stipulates the processing of special categories of personal data other than health and sexual life.
 
3.6.3. Processing of data on health and sexual life by persons under confidentiality obligation for the purpose of protecting public health, performing preventive medicine, medical diagnosis, treatment and care services, planning and managing health services and financing.
 
3.7. Personal Data Transfer
 
3.7.1. Domestic Data Transfer
TBYM's personal data, including private personal data, can be transferred to third parties (third party real and legal persons, authorized public institutions and organizations) based on the appropriate personal data processing purposes and taking the necessary administrative and technical measures, as stipulated by the regulations in Article 8 of the PPDL Law. TBYM's Transmission Receiver Groups are specified in VERBIS.
 
TBYM acts in accordance with the law in data transfer activities. It transfers data to third parties to which personal data is transferred only to the extent required by the service. Transfer Recipients, who are data processors, instruct their groups accordingly regarding data security through data transfer contracts.
3.7.2. International Data Transfer
TBYM can transfer personal data abroad only in the manner stipulated by the regulations in Article 9 of the PPDL Law and by taking the necessary administrative and technical measures. This transfer is possible if one of the following conditions is met:
 
 
3.7.2.1. Foreign countries declared by the Agency to have adequate protection, or
3.7.2.2. In the absence of sufficient protection, without seeking the explicit consent of the data subject, provided that the data controllers in Turkey and in the relevant foreign country undertake an adequate protection in writing and the Board has permission.
 
3.7.2.3. If one of the two conditions in question is not fulfilled, personal data can only be transferred abroad with the clear consent of the person concerned.
 
In the presence of one of the aforementioned conditions, TBYM may transfer personal data to informatics, archive companies or cloud service companies in order to provide the necessary infrastructure and services for corporate electronic communication channels and data security; It can transfer data to platforms and applications of foreign origin for the purpose of service provision through instant message or online communication channels, which are widely and inevitably used today. In addition, TBYM may transfer personal data abroad to our suppliers in order to supply goods and services from foreign suppliers and to carry out their commercial activities.
 
3.8. Protection and Disposal of Personal Data
 
As the Data Controller, TBYM has determined the retention periods, destruction periods and technical and administrative measures to be implemented in preservation in its Personal Data Protection and Disposal Policy; VERBIS has declared these periods separately for each personal data category. TBYM is aware of its obligation to ensure that personal data is kept in accordance with these principles.
 
In accordance with the PPDL Law, personal data are kept for the period required by the relevant legislation or for the purpose for which they are processed. These periods have been determined, and after this period, the relevant personal data is deleted, destroyed or anonymized for analytical purposes at the end of the periodic destruction periods specified in the relevant Policy in accordance with the Regulation on the Deletion, Destruction or Anonymization of Personal Data. You can request more information via the contact information provided in this PPDL Policy.
 
 
4. PERSONAL DATA PROTECTION
 
TBYM takes technical and administrative measures according to technological possibilities and implementation costs in order to ensure that personal data is processed in accordance with the law. The technical and administrative measures taken for the protection of personal data are implemented with care and additional measures in terms of special quality personal data, and the necessary audits are periodically provided at the highest level within the body of TBYM, and these security measures are specified in VERBIS.
 
TBYM has taken all appropriate security measures to ensure that personal data is processed only for the purposes specified in VERBIS (ANNEX-1) and to reduce risks such as malicious use, unauthorized access, transfer, destruction or alteration of personal data. These security measures also include other measures taken in matters such as transferring personal data to countries that do not provide adequate data protection.
 
Personal data is confidential and TBYM respects this confidentiality. Only persons authorized by TBYM can access personal data. In this framework, it is ensured that the software complies with the standards, that the third parties are carefully selected and that the PPDL Policy is complied with within the TBYM.
 
Although TBYM takes the necessary data security measures, if personal data is damaged as a result of attacks on the platforms operated by TBYM or the TBYM system, or if it falls into the hands of unauthorized third parties, TBYM takes immediate action to remedy the violation and minimizes the harm to the person concerned. TBYM immediately informs the relevant persons and the Board of this situation and takes the necessary measures.
 
 
5. RELEVANT PERSONS’ RIGHTS ON THEIR PERSONAL DATA AND EXERCISE OF RIGHTS
 
5.1  Rights of Relevant Persons
According to the Constitution of the Republic of Turkey, everyone has the right to demand the protection of their personal data. In this context, the rights of the person concerned over their personal data are listed below in Article 11 of the PPDL Law:
1. Learning whether personal data is processed or not,
2. If personal data has been processed, requesting information about it,
3. Learning the purpose of processing personal data and whether they are used in accordance with the purpose,
4. To know the third parties whose personal data are transferred in the country or abroad,
5. Requesting correction of personal data in case of incomplete or incorrect processing,
6. Requesting the deletion or destruction of personal data within the framework of the conditions stipulated in Article 7 of the PPDL Law,
7. Requesting notification of this deletion, destruction or correction to third parties to whom personal data has been transferred,
8. Objecting to the emergence of a result against the data owner by analyzing the processed data exclusively through automated systems,
9. To request the compensation of the damage in case of loss due to the processing of personal data in violation of the PPDL Law.
 
 
5.2  Relevant Persons’ Exercise of Rights
 
The relevant person, within the scope of the above-mentioned rights, can submit his/her requests in writing to TBYM's registered e-mail address, using secure electronic signature, mobile signature or the e-mail address previously notified to TBYM and registered in TBYM's system. The relevant person can use the "Data Owner Application Form" on the website of TBYM. In the application made;
 
1. Name, surname and signature if the application is written,
2. For citizens of the Republic of Turkey, T.C. identification number; nationality for foreigners, passport number or identification number,
3. Domicile or workplace address for notification,
4. If available, the e-mail address, telephone and fax number for notification,
5. Demand subject
 
In addition, information and documents related to the subject must be attached to the application. Applications will only be evaluated if they are in Turkish. For third parties to apply on behalf of the related persons, there must be a special power of attorney issued by the relevant person through a notary public on behalf of the person to apply.
 
5.3. Evaluation and Reply of Relevant Persons’ Applications
As stated in this PPDL Policy; In any case, if the Data Controller submits it to TBYM in accordance with the application procedures stipulated in the Communiqué on Application Procedures and Principles, TBYM will conclude this request free of charge as soon as possible, depending on its nature, and within 30 (thirty) days from the application date at the latest. However, if the transaction requires an additional cost, TBYM may charge the fee in the tariff determined by the Board.
 
In written applications, the date on which the document is notified to the data controller or its representative is the application date. In applications made by other methods; The date on which the application reaches the data controller is the application date.
 
 
6. RELATIONSHIP OF KVK POLICY WITH OTHER POLICIES
TBYM specifies the application principles it has determined for the protection of personal data in its policies, and publishes the policies  in public media to the extent relevant. All company policies prepared on this subject are a whole and their regulations complement each other. In this way, TBYM aims to provide transparency and accountability by informing the relevant persons about personal data processing activities.
 
 
7. EFFECTIVENESS OF PPDL POLICY AND CHANGES TO THE POLICY
This PPDL Policy is published on the website of TBYM and becomes effective as of the date of its publication. TBYM can always make changes in this PPDL Policy. These changes take effect on the day the new modified PPDL Policy is published.
 
 
8. CONTACT US
If you have any questions about this PPDL Policy or our approach to the processing and protection of your personal data, or if you want to use any of the rights set forth in this PPDL Policy, you can get information by using any of the following ways:
 
TURKISH PRESS AND PUBLISHERS COPYRIGHT AND LICENCING SOCIETY
Address: Küçük Çamlıca Mah. Şekerkaya Sok. No: 9/A Üsküdar / İstanbul
Phone number: (216) 327 07 73
E-mail: bilgi@tbym.org
KEP Adresi: tbym@hs01.kep.tr
 
Annex-1
  
Data Category Data Processing Purposes
Identity ▪ Receiving and Evaluating Suggestions for Improvement of Business Processes
  ▪ Execution of Business Continuity Ensuring Activities
 
  ▪ Execution of Goods / Services Procurement Processes
  ▪ Execution of Goods / Services After-Sales Support Services
 
  ▪ Execution of Goods / Services Sales Processes
  ▪ Execution of Goods / Services Production and Operation Processes
 
  ▪ Execution of Customer Relationship Management Processes
  ▪ Execution of Activities for Customer Satisfaction
  ▪ Organization and Event Management
 
  ▪ Execution of Storage and Archive Activities
 
  ▪ Execution of Contract Processes
 
▪ Execution of Strategic Planning Activities
  ▪ Follow-up of Requests / Complaints
  ▪ Ensuring the Security of Movable Property and Resources
  ▪ Ensuring the Security of Data Controller Operations
  ▪ Execution of Investment Processes
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
  ▪ Execution of Management Activities
  ▪ Execution of Information Processes
  ▪ Execution of membership procedures,
  ▪ Ensuring Member Satisfaction
  ▪ Execution of Competition Processes
  ▪ Proof of entitlement within the scope of anti-piracy
  ▪ Introducing the events, informing the public
  ▪ Execution of promotional activities
  ▪ Execution of Reporting Activities,
  ▪ Fulfillment of Union Activities
  ▪ Hotel registration, flight ticket purchase, airport transfer planning
  ▪ Contributing to the sector
  ▪ Conducting Interview Activities
 
Communication ▪ Execution of Emergency Management Processes
   
▪ Execution of Information Security Processes
 
  ▪ Execution of Audit / Ethical Activities
  ▪ Execution of Training Activities
  ▪ Execution of Access Authorizations
  ▪ Execution of Activities in Compliance with the Legislation
 
  ▪ Execution of Finance and Accounting Affairs
  ▪ Execution of Company / Product / Services Loyalty Processes
  ▪ Execution of Assignment Processes
  ▪ Follow-up and Execution of Legal Affairs
  ▪ Conducting Internal Audit / Investigation / Intelligence Activities
  ▪ Execution of Communication Activities
  ▪ Execution / Supervision of Business Activities
  ▪ Receiving and Evaluating Suggestions for Improvement of Business Processes
  ▪ Execution of Business Continuity Ensuring Activities
  ▪ Execution of Goods / Services Procurement Processes
  ▪ Execution of Goods / Services After-Sales Support Services
   
 
▪ Execution of Goods / Services Sales Processes
 
  ▪ Execution of Goods / Services Production and Operation Processes
  ▪ Execution of Customer Relationship Management Processes
  ▪ Execution of Activities for Customer Satisfaction
  ▪ Organization and Event Management
  ▪ Execution of Risk Management Processes
  ▪ Execution of Storage and Archive Activities
  ▪ Execution of Contract Processes
  ▪ Execution of Strategic Planning Activities
  ▪ Follow-up of Requests / Complaints
 
  ▪ Ensuring the Security of Movable Property and Resources
  ▪ Ensuring the Security of Data Controller Operations
  ▪ Execution of Investment Processes
 
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
  ▪ Execution of Management Activities
  ▪ Execution of Information Processes
  ▪ Execution of membership procedures,
  ▪ Ensuring Member Satisfaction
  ▪ Execution of Competition Processes
▪ Proof of entitlement within the scope of anti-piracy
  ▪ Introducing the events, informing the public
  ▪ Execution of promotional activities
  ▪ Execution of Reporting Activities
  ▪ Fulfillment of Union Activities 
  ▪ Hotel registration, flight ticket purchase, airport transfer planning
  ▪ Contributing to the sector
  ▪ Conducting Interview Activities
Legal Transaction ▪ Execution of Audit / Ethical Activities
  ▪ Execution of Activities in Compliance with the Legislation
  ▪ Follow-up and Execution of Legal Affairs
  ▪ Conducting Internal Audit / Investigation / Intelligence Activities
  ▪ Execution of Communication Activities
  ▪ Execution / Supervision of Business Activities
 
  ▪ Execution of Risk Management Processes
  ▪ Execution of Storage and Archive Activities
  ▪ Execution of Contract Processes
 
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
 
  ▪ Execution of Management Activities
 
  ▪ Execution of Audit / Ethical Activities
 
  ▪ Execution of Activities in Compliance with the Legislation
  ▪ Execution of Finance and Accounting Affairs
  ▪ Follow-up and Execution of Legal Affairs
  ▪ Conducting Internal Audit / Investigation / Intelligence Activities
 
  ▪ Execution of Communication Activities
  ▪ Execution / Supervision of Business Activities
 
  ▪ Execution of Goods / Services Sales Processes
  ▪ Execution of Goods / Services Production and Operation Processes
  ▪ Execution of Customer Relationship Management Processes
Customer Operations ▪ Execution of Marketing Analysis Studies
  ▪ Execution of Risk Management Processes
  ▪ Execution of Storage and Archive Activities
  ▪ Execution of Contract Processes
 
  ▪ Execution of Investment Processes
   
 
▪ Providing Information to Authorized Persons, Institutions and Organizations
 
  ▪ Execution of Management Activities
  ▪ Execution of membership transactions
  ▪ Ensuring Member Satisfaction
  ▪ Proof of entitlement within the scope of anti-piracy
  ▪ Hotel registration, flight ticket purchase, airport transfer planning
Physical Space Security
 
▪ Execution of Information Security Processes
 
  ▪ Providing Physical Space Security
 
  ▪ Follow-up and Execution of Legal Affairs
  ▪ Execution/Audit of Business Activities
  ▪ Execution of Storage and Archive Activities
  Ensuring the Security of Movable Property and Resources
  ▪ Ensuring the Security of Data Controller Operations
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
  ▪ Execution of Management Activities
  ▪ Creating and Tracking Visitor Records
 
Process Security ▪ Execution of Information Security Processes
 
   
▪ Execution of Audit / Ethical Activities
 
  ▪ Execution of Access Authorizations
  ▪ Execution of Activities in Compliance with the Legislation
  ▪ Conducting Internal Audit / Investigation / Intelligence Activities
  ▪ Execution of Storage and Archive Activities
  ▪ Ensuring the Security of Data Controller Operations
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
  ▪ Execution of Management Activities
 
Risk Management ▪ Execution of Audit / Ethical Activities
  ▪ Execution of Finance and Accounting Affairs
  ▪ Execution / Supervision of Business Activities
  ▪ Execution of Occupational Health / Safety Activities
  ▪ Execution of Risk Management Processes
  ▪ Execution of Storage and Archive Activities
  ▪ Ensuring the Security of Data Controller Operations
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
  ▪ Execution of Management Activities
 
Finance ▪ Execution of Goods / Services Production and Operation Processes
 
▪ Execution of Marketing Analysis Studies
 
 
  ▪ Execution of Risk Management Processes
 
  ▪ Execution of Storage and Archive Activities
 
  ▪ Execution of Contract Processes
  ▪ Execution of Investment Processes
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
 
  ▪ Execution of Management Activities
 
  ▪ Proof of entitlement within the scope of anti-piracy
 
Professional experience
▪ Execution of Training Activities
 
  ▪ Execution of Activities in Compliance with the Legislation
  ▪ Execution / Supervision of Business Activities
 
  ▪ Execution of Management Activities
 
  ▪ Execution of membership procedures
 
Marketing ▪ Execution of Marketing Analysis Studies
 
  ▪ Execution of Advertising / Campaign / Promotion Processes
 
  ▪ Execution of Reporting Activities,
 
  ▪ Fulfillment of Union Activities
 
Audio and Visual Recordings ▪ Execution of Information Security Processes
 
  ▪ Providing Physical Space Security
 
  ▪ Follow-up and Execution of Legal Affairs
  ▪ Execution/Audit of Business Activities
 
  ▪ Execution of Storage and Archive Activities
 
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
 
  ▪ Execution of Management Activities
 
 
  ▪ To contribute to the development of today's literature by bringing together the publishing industry and interacting with different cultures.
 
  ▪ Promotion of events
 
  ▪ Informing the public
 
Company Information ▪ Execution of Assignment Processes
 
  ▪ Execution of Communication Activities
 
  ▪ Execution / Supervision of Business Activities
  ▪ Execution of Customer Relationship Management Processes
  ▪ Organization and Event Management
 
  ▪ Execution of Strategic Planning Activities
 
Transfer and Accommodation Information ▪ Execution of Communication Activities
  ▪ Execution of Activities for Customer Satisfaction
  ▪ Hotel registration, flight ticket purchase, airport transfer planning
Membership Information ▪ Execution of Audit / Ethical Activities
  ▪ Execution of Activities in Compliance with the Legislation
 
  ▪ Execution of Management Activities
Employed company information ▪ Execution of Audit / Ethical Activities
  ▪ Execution of Activities in Compliance with the Legislation
  ▪ Execution of Finance and Accounting Affairs
  ▪ Execution of Communication Activities
  ▪ Execution / Supervision of Business Activities
  ▪ Execution of Goods / Services Production and Operation Processes
  ▪ Execution of Contract Processes
  ▪ Execution of Sponsorship Activities
 
  ▪ Providing Information to Authorized Persons, Institutions and Organizations
  ▪ Execution of membership procedures
  ▪ Informing the public
  ▪ Execution of Reporting Activities,
 
  ▪ Fulfillment of Union Activities
Industry and Interview Information ▪ Execution of Communication Activities
  ▪ Execution of Goods / Services Production and Operation Processes
  ▪ Organization and Event Management
  ▪ Contributing to the sector
 
  ▪ Fulfilling Union activities
  ▪ Informing the Public, Conducting Interview Activities