FAEDRAHOMES

Faedra Homes

Privacy notice

21 August 2026

The faedrahomes.hu website presents the residential portfolio of Faedra Group. The site uses no cookies; we measure traffic with a cookieless tool that produces aggregate statistics only (see "Traffic measurement" below and the Cookie notice), and we run no advertising services. Beyond that, we only process personal data when you contact us through the enquiry form or by email.

Data controller

Controller
Faedra Group Ingatlanfejlesztési és Befektetési Korlátolt Felelősségű Társaság
Registered seat
1132 Budapest, Váci út 22–24. 5. em.
Company reg. no.
01-09-345429
Email
info@faedragroup.hu

Traffic measurement (Umami)

We measure site traffic with a self-hosted, cookieless Umami system. During measurement your IP address is processed transiently, solely to derive an aggregate, server-side identifier; the system sets no cookies, builds no individual visitor profile, does not follow visitors across websites, and the data is used as aggregate statistics only. The legal basis is the controller's legitimate interest (GDPR Art. 6(1)(f)): understanding how the site is used and improving the service. The measurement system is operated by the controller itself, so no external analytics provider has access to the data; it is served by Vercel (hosting) and its data is stored by Neon (database services; data located in Frankfurt, Germany) as processors.

The enquiry form

Data submitted through the form (name, email address, phone number, selected project and message content) is used solely to answer your enquiry and for sales contact, based on your consent (GDPR Art. 6(1)(a)). Consent can be withdrawn at any time at info@faedragroup.hu.

Enquiries are forwarded to Otthon Centrum Solutions Kft. (faedrahomes@oc.hu), which acts as an independent controller in the sales process.

Together with your enquiry we also record technical data about its source (the landing page, referring page and campaign parameters of your first and most recent visit; see the source identifier section of the Cookie notice), and register the enquiry in the controller's own internal analytics system (Faedra Intelligence). The purpose is keeping a register of enquiries and establishing which marketing channel each enquiry came from; the legal basis is GDPR Art. 6(1)(b) for receiving and answering the enquiry, and the controller's legitimate interest (GDPR Art. 6(1)(f)) for source classification. The internal system is served by Render (hosting) and its data is stored by Supabase (database services; data located in Ireland) as processors.

Data is retained until your enquiry is closed, at most for 2 years from receipt, unless the law requires longer retention or you request earlier erasure; this retention period applies to every copy of the enquiry data, including the copy held in the internal analytics system.

Processors and technical providers

  • Vercel Inc. (440 N Barranca Ave #4133, Covina, CA 91723, USA): hosting for the website and the cookieless traffic measurement (Umami) system; may briefly process technical log data required for operation.
  • Neon, Inc. (data located in Frankfurt, Germany): database services; storage of the cookieless traffic measurement (Umami) data.
  • Mailgun Technologies, Inc. (EU region): email delivery of form messages.
  • Cloudflare, Inc. (Turnstile): abuse protection for the form; the service processes technical signals for the security check and sets no cookies.
  • Render Services, Inc. (United States): hosting for the controller's internal analytics system (Faedra Intelligence).
  • Supabase, Inc. (data located in Ireland): database services; storage of the internal analytics system's data, including the register of enquiries.

Transfers to third countries

Some of the providers listed above (Vercel, Neon, Mailgun, Cloudflare, Render, Supabase) may also process data outside the European Economic Area, primarily in the United States. Such transfers are safeguarded by the standard contractual clauses adopted by the European Commission (SCC, GDPR Art. 46(2)(c)) or, where the provider is a certified participant, by the adequacy decision under the EU-U.S. Data Privacy Framework (GDPR Art. 45).

Within the database services provided by Neon and Supabase, the stored data is located inside the European Economic Area (in Frankfurt, Germany, and in Ireland respectively), so this storage does not in itself constitute a transfer to a third country. Should the provider nevertheless access the data from outside the European Economic Area, in particular in the course of support activities, the safeguards described in the previous paragraph apply to such access.

Your rights

Under the GDPR you may request information about, rectification or erasure of your personal data and restriction of processing, you may withdraw your consent at any time, and you may object at any time to processing based on legitimate interest (traffic measurement, source classification). You may lodge a complaint with the Hungarian National Authority for Data Protection and Freedom of Information (NAIH, 1055 Budapest, Falk Miksa utca 9–11., naih.hu).