Ignacio Fernandez Abogados

About Us



IGNACIO FERNÁNDEZ ABOGADOS, S.L.P.U. (hereinafter, IFASL), with registered office at Paseo de la Castellana, 135, 7º, 28046 Madrid, 28020, Spain, e-mail address: ignacio@ignaciofernandez.es, and with Company Tax Code B-84840560, wishes to express its respect for and compliance with the provisions set out in General Data Protection Regulation (EU Regulation 2016/679 from the European Parliament and Commission of April, 27th), the Organic Act 3/2018 of December 5th and its subsequent regulations. Therefore, the company wishes to inform you of its data protection policy so that you may decide voluntarily if you wish to provide IFASL with your personal details.


IFASL would like to inform you that any personal details introduced through the web site, and likewise, those that may be provided in the future under the framework of your legal relationship with this entity, will be collected in files owned by IFASL, details of which appear at the beginning of the present document. These files will be used for the management and provision of the requested services, to aid the compliance and execution of the contracts that may be entered into, as well as sending administrative, technical and organizational information related to IFASL activities by electronic or offline means. The recipients of such collected information will solely be IFASL professionals and third party providers.

In the latter case, third party providers shall be bound by an agreement covering the rendering of services whereby equivalent privacy and data protection obligations to those mandated for IFASL professionals shall be expressly addressed, all in compliance with applicable regulatory provisions.


Except in the fields for which the opposite is expressly determined by means of an asterisk (*), the answers to the questions on personal details are voluntary and failure to answer such questions will not imply a decrease in the quality of the services requested by you. Lack of compliance with the fields that are marked as obligatory, or submission of incorrect information will render it impossible for IFASL to provide such services as may be requested.


The legal basis to process your data is your consent when accepting this Privacy Policy and, should rendering of legal services be of application, based on contract execution. Prior to such acceptance, none of your personal details will be entered into IFASL files.


Data shall only be kept as long as are legally requirable to cope with IFASL legal obligations. In such period they shall only be used for the above-mentioned purposes or billing of pending quantities. When legal terms are over, data will be erased.


You will have the possibility of exercising your right to access, rectify, cancel, oppose, restrict or object to processing as well as the right to data portability by making a request by any means that provides evidence of dispatch and receipt and making available a copy of your National Identity Card or equivalent document. To exercise these rights you can write to the IFASL postal address as indicated at the top of this Privacy Policy, or to the email address ignacio@ignaciofernandez.es, (re: data protection). Likewise, you will be able to revoke, without retroactive effects, your consent of your personal data processing at any time.

You will always have the right to lodge a complaint with the Spanish Data Protection Agency, should you consider your rights have been violated or incorrectly attended.


IFASL upholds levels of protection of your personal data in conformity with applicable security measures regulations and has implemented all technical measures within its ability in order to avoid the loss, misuse, alteration, unauthorised access and theft of personal data with which you may provide IFASL, even though Internet security may not be completely tight against breaches.


IFASL reserves the right to modify the current Privacy Policy in order to adapt it to new legislation, case-law or interpretation by the Spanish Data Protection Agency. In such an event, IFASL will notify such changes, clearly indicating with due advance notice the modifications carried out and will request your acceptance of such changes, where necessary.

The current Privacy Policy shall be complemented by the general contractual conditions of certain services, in the case that such services involve any particularity from the viewpoint of personal data protection. In any case, such particularities shall not be applicable to your personal data in case you do not accept the aforementioned general conditions.


Should you need to provide third parties’ personal data to IFASL, you shall make sure to have the express consent of such third party for the provision of said personal data, such third party being informed about whom the personal data are going to be disclosed to, with which goals and the ability for IFASL to get in contact with them.


Please be so kind to revise the data you provide to avoid errors, inaccuracies or lack of validity. Should you detect any of such failures, please inform by the means of communication previously offered or modify them to avoid IFASL damages.