GDPR COMPLIANCE
SAFE and GDPR COMPLIANT Companies Email Databases!

Our Companies Email Databases include Companies and Professionals who have freely submitted their contact information (electronic and otherwise) by publishing it in public directories. The data come from public directories, Internet pages or other materials of informatics nature and are selected and chosen by our native software and in person by our staff.
Our tests and controls are absolutely meticulous in every aspect, our staff performs precise checks verifying that email addresses are active and up to date. We comply with all current regulations in Italy and Europe, with particular attention to the GENERAL DATA PROTECTION REGULATION (GDPR).
"Maiload Companies Email Databases contains public data of economic entities, so prior consent for use is not required as the law protects transparency in the conduct of economic activities."
How can I use the Email Addresses
contained in Maiload's Databases?
The activity of Email Marketing can be carried out without the need for prior consent to departmental email addresses and traceable to legal entities (info@... , administration@... , commercial@...). Visit the section Consent Request
In the case of Actions of Email Marketing toward employees/members of a company, we recommend following the good rule of the Permission Marketing
It is then possible to use the data contained in the Maiload Databases without restrictions, however, remember to always include the Privacy Policy (Articles 13 and 14 EU Regulation 2016/679 - GDPR) that you find here
As a first contact we always recommend sending an informational or introductory communication, without including prices, promos and discounts
Normative References
GENERAL DATA PROTECTION REGULATION
References to Recitals 14 and 47
Updated to corrections published in the Official Journal
of the European Union 127 of May 23, 2018

"The protection provided by this Regulation should apply to natural persons, regardless of nationality or place of residence, in connection with the processing of their personal data. This Regulation does not regulate the processing of personal data relating to legal persons, particularly enterprises with legal personality, including the name and form of the legal person and its contact details."

The legitimate interests of the data controller, including those of a data controller to whom personal data may be disclosed, or of a third party may constitute a legal basis for processing, provided that the interests or fundamental rights and freedoms of the data subject are not overridden, having regard to the reasonable expectations of the data subject based on his or her relationship with the data controller. (...) It may be considered a legitimate interest to process personal data for direct marketing purposes.
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