Privacy Policy

<1> Handling personal information

When handling personal information, Fukuoka Jisho Co., Ltd. (“FJ”) will comply with the Act on the Protection of Personal Information (“Act”) and other laws and regulations (“Laws”) as well as adhere to this privacy policy.

<2> Acquiring personal information

FJ will acquire personal information via the following methods:

  1. by directly asking its owner in person, in writing, etc. to provide it;
  2. by acquiring information that is automatically transmitted when the owner uses or views one of FJ’s services etc. (products, marketing, content, etc.);
  3. by receiving it indirectly from a third party that has the owner’s consent; and
  4. by acquiring personal information that has been disclosed in a publication, on the Internet, etc.
  5. by acquiring personal images, audios, videos recording from security cameras in and/or around facilities which FJ owns, operates or manages, etc.

FJ may acquire browser histories, location histories, and other analysis results that were collected from the attribute information (IP addresses, identifiers, location information, etc.) in cookies etc. via data-management platforms etc., operated by a FJ service or a third party, then link that data to the personal data of customers and use it for the purposes of marketing etc. Even in such cases, FJ will strive to handle that personal information in accordance with this privacy policy.

<3> Purpose of Use for Personal Information

FJ will use personal information for the following purposes and to execute the sales activities and contracts required for the business it conducts (please refer to our company overview).

  1. To recommend our products, services, etc. as well as to contact customers when necessary, such as in the following situations.
    • To sign contracts for real estate properties operated or managed by FJ.
    • To ascertain, implement, or send notifications regarding construction or other work within facilities that are operated or managed by FJ as well as to determine the identity of facility visitors, to conduct monitoring and security, to prevent disasters, to maintain order in the facility, to provide various types of information, to contact individuals, etc.
    • To fulfill obligations, exercise rights, or take any steps that accompany those actions.
    • To offer comprehensive our services and products related to the administration of various members’ associations etc., procedures related to member enrollment, data registration, management, point services, etc.
    • To respond to customer’s inquiries or requests for information.
  2. To recommend our products, services, etc. as well as to contact customers when necessary, such as in the following situations.
    • To mail announcements, published material, etc. about the available products, services, various events, seminars, campaigns, etc. of FJ or affiliates of parent company FJ.
    • To host events that the facilities operated or managed by FJ.
    • So that customers can enter various prize competitions etc.
  3. To plan, develop, improve, research, or analyze our products, services, etc., such as in the following situations.
    • To obtain the opinions or impressions of customers for market research or to develop or improve our products, services, etc.
  4. Other
    Includes the example uses below.
    • To screen prospective employees, provide them with information, contact them, etc. during the hiring process.
    • When there is a need to contact for some other reason.

<4> Personal data jointly utilized

FJ may jointly use the personal data provided by customers etc. as follows.

  1. Items of personal data eligible for joint use
    1. ① Company names, assigned departments, job titles, addresses, names, ages, birth dates, contact details, and other personal data provided by customers.
    2. ② Personal images, audios or videos recording from security cameras, etc.
  2. Scope of entities that jointly use information
    1. ① Affiliates of parent company FJ (This information is subject to change due to the establishment, reorganization, transfer of stock, etc. of an existing affiliate. The primary affiliate companies can be found at the link below. https://www.fukuokajisho.com/company/group.html)
    2. ② Entities that FJ has a business partnership agreement with
    3. ③ Entities from which FJ has accepted an order as well as contractors that FJ has entrusted with work
    4. ④ Entities that lease facilities operated or managed by FJ or that operate a location in such facilities
    5. ⑤ Entities that perform management tasks etc. of facilities owned, operated or managed by FJ.
  3. Purpose of Use for Users
    The joint users noted above will use personal data for purposes listed in section 3 above as well as to execute the sales activities and contracts required for the business conducted.
  4. For managing personal data jointly utilized: address and Name of responsible party as well as the names of their representatives for the management of personal information jointly utilized.
    1-2-25 Sumiyoshi, Hakata-ku, Fukuoka-shi, 812-0018
    Fukuoka Jisho Co., Ltd.
    Ichiro Enomoto, President and C.E.O
    For where to submit inquiries, please refer section 8 below.

<5> Providing Personal Information to a Third Party

FJ will not provide personal information to a third party unless its disclosure is requested based on laws or regulations; the owners of the information have provided its consent; FJ has outsourced the handling of personal information with the scope needed to achieve the purposes of use stated above; or providing the information is mandated by law. When outsourcing the handling of personal information, FJ will thoroughly investigate that third party beforehand and then appropriately monitor them to ensure confidentiality is maintained.

<6> Safety-Control Measures

FJ will safely manage and maintain the accuracy of the acquired personal data (including personal information which FJ has acquired or plans to acquire with the intent to handle as personal data. The same shall apply hereinafter in this section.)
Also, FJ will monitor its officers and employees as well as any contractors (collectively, “Employees”) as necessary and appropriate and establish suitable data-management measures to prevent the loss, destruction, falsification, or unintended disclosure of personal data.

  • Creating a privacy policy
    This privacy policy was created to ensure the proper handling of personal data.
  • Creation of rules related to the handling of personal data
    FJ has established internal rules covering the acquisition, use, storage, provision, deletion, and destruction of personal data as well as the supervisors and parties responsible for personal data and their duties.
  • Organizational safety-control measures
    1. ① In addition to assigning supervisors and custodians for the handling of personal data, FJ will clearly define the Employees that handle personal data and the scope of that handling. FJ will also establish a system for contacting or reporting to a supervisor or custodian if there is evidence or signs that the Act or any Personal-Information Protection Regulations have been violated.
    2. ② In addition to periodically conducting self-assessments of how personal data is being handled, FJ will perform audits through its Legal Division and appropriately review and improve its measures related to the handling and safety control of personal information.
  • Personnel safety-control measures
    1. ① FJ provides training to its officers and employees on the things to keep in mind when handling personal data.
    2. ② Matters related to maintaining the confidentiality of personal data are described in the work regulations.
  • Physical safety-control measures
    1. ① In addition to controlling access to areas where personal data is handled, FJ has taken steps to prevent unauthorized individuals from viewing personal data.
    2. ② In addition to establishing measures for preventing the theft or loss, etc of devices, electronic media, documents, etc. used to handle personal data, FJ has taken steps so that personal data cannot easily be used to identify its owner if those devices, media, etc. are removed from the premises.
  • Technical safety-control measures
    1. ① FJ has implemented access controls and restricted the scope of users and the databases they use to handle personal information, etc.
    2. ② FJ has deployed a framework that safeguards the IT systems handling personal data from unauthorized access and malicious software originating from the outside world.
  • Understanding the external environment
    If personal data is stored or managed within cloud services located on servers in a foreign country, or if personal data will otherwise be handled in a foreign country, FJ will take the necessary and appropriate steps to ensure compliance with that nation’s legal system.
    ※With some cloud services, the country in which the personal data is stored cannot be identified because the data’s storage location has not been publicly disclosed.

<7> Requesting the Disclosure etc. of Stored Personal Data

  1. Inquiry Office
    Contact information (the “Inquiry Office”) for requesting to be notified about the purpose of use of stored personal data, for requesting the disclosure or amendment etc. (revision, addition, or deletion) of stored personal data, or for requesting the cessation of use etc. (either not used or deleted) or cessation of provision to a third party (those requests collectively, “Disclosure”) can be found in section 8.
  2. Documents which should be submitted when there is a Disclosure request; Other ways of requesting Disclosure
    1. ① Requests from the owner for Disclosure
      If the request for Disclosure is being submitted by the owner of the information, please obtain a prescribed Disclosure Request Form from the Inquiry Office, fully complete the form by entering the necessary items, then send it via registered mail to the address specified by the Inquiry Office along with the documents required for identity verification. If the request pertains to amendment etc., cessation of use, or cessation of provision to a third party (collectively, “Revision Requests”), please include documentation that indicates why the Revision Requests was requested in addition to the above documents.
    2. ② Requests from a representative for Disclosure
      If the request for Disclosure is being submitted by a minor, adult ward, statutory representative, or some other agent authorized by the owner of the data, then in addition to the documents in ①, please obtain the prescribed documentation from the Inquiry Office, fully complete it by entering the necessary items, then send it via registered mail to the address specified by the Inquiry Office along with the documents required for verifying the agent’s identity.
  3. Processing fees related to disclosure and purpose-of-use notifications as well as their collection method
    For each request, please send ¥1,100 (includes consumption tax) via bank transfer to the account specified by the Inquiry Office. FJ will contact you if the submitted processing fee is insufficient or its transfer cannot be verified. However, the request will be treated as null and void if the correct payment is not made within the specified period.
  4. Response methods
    1. ① If a response will be provided
      Except where mandated by law, FJ will respond in writing to Disclosure requests by mailing a letter (which must be signed by the addressee upon delivery) to the address listed by the owner or their agent in the Addressee field of the Form for the Disclosure for Personal Information.
    2. ② If no response will be provided to a request for the disclosure of stored personal data or notification of its purpose of use
      All or a portion of the items for disclosure will be withheld in the following cases. If a decision is made not to disclose, FJ will inform the requester of that reason. The stipulated processing fee must be paid even in the case of non-disclosure.
      1. if the life, health, property, or other rights or benefits of the owner or a third party are in danger of being harmed
      2. if there is a danger of creating considerable difficulties in the proper execution of FJ’s business
      3. if FJ is required to cooperate so that the legally mandated work of government agencies or local public entity can take place, and notifying the owner of the purpose of use or publicizing it may obstruct the execution of that work (does not apply when disclosing the stored personal data only)
      4. if doing so would violate laws or regulations other than the Act
        (does not apply to purpose of use notifications)
      5. if the requester cannot be verified as the owner
      6. if the agent’s authority of representation cannot be verified
    3. ③ If no response will be provided to a request for Revision, the cessation of usage, or the cessation of provision to a third party
      In the following cases, no response will be provided regarding all or a portion of the personal data associated with the request for Revision, cessation of usage, or cessation of provision to a third party. If the decision is made to not respond to a request for the amendment etc., the cessation of usage, or the cessation of provision to a third party, FJ will inform the requester of the reason.
      1. if the requester cannot be verified as the owner
      2. if the agent’s authority of representation cannot be verified
      3. if the reason for the request for the amendment etc., the cessation of usage, or the cessation of provision to a third party cannot be validated
      4. if details are missing from the application
  5. Purpose of use of personal information acquired in relation to Disclosure requests
    FJ will use personal information that is acquired in relation to Disclosure requests for the sole purpose of responding to claims for Disclosure based on the Act.

<8> Contact Details for Inquiries and Complaints.

Categoly Point of Contact Telephone Operating Hours
[Relating to Hit Model Home Park / Smiledesk Service] Fukuoka Jisho Co., Ltd.
Realty Management Division Ⅱ
092-272-2788 Weekdays 9:30–17:00 (excluding the New Year's Holiday)
[Others] Fukuoka Jisho Co., Ltd.
Legal Division
092-272-2787 Weekdays 9:30–17:00 (excluding the New Year's Holiday)
Categoly [Relating to Hit Model Home Park / Smiledesk Service] Point of Contact Fukuoka Jisho Co., Ltd.
Realty Management Division Ⅱ
Telephone: 092-272-2788 Operating Hours Weekdays 9:30–17:00 (excluding the New Year's Holiday)
Categoly [Others] Point of Contact Fukuoka Jisho Co., Ltd.
Legal Division
Telephone: 092-272-2787 Operating Hours Weekdays 9:30–17:00 (excluding the New Year's Holiday)

<9> Miscellaneous

FJ may change all or a portion of the information in this privacy policy. If a change is made, FJ will provide notice on its website or other location.

(Revised 5 September, 2024)

1-2-25 Sumiyoshi, Hakata-ku, Fukuoka-shi
Fukuoka Jisho Co., Ltd.
Ichiro Enomoto, President and C.E.O

【For Guests from European Economic Area (hereinafter called "EEA")】

  1. Lawful basis for processing personal information
    FJ protects your personal information by ensuring that it can only be used to the extent necessary for specific purposes and by requiring that there is a lawful basis for EU General Data Protection Regulation 2016/679 (hereinafter called “GDPR”). FJ may process your personal information on one or more of the following lawful bases. ‘Personal information’ means any information relating to an identified or identifiable natural person (‘data subject’); an identifiable natural person is one who can be identified, directly or indirectly, in particular by reference to an identifier such as a name, an identification number, location data, an online identifier or to one or more factors specific to the physical, physiological, genetic, mental, economic, cultural or social identity of that natural person:
    1. ① When your consent is obtained to the processing (Article 6(1)(a) of the GDPR)
    2. ② When processing is necessary in order to perform or take steps to enter into a contract (Article 6(1)(b) of the GDPR).
    3. ③ FJ needs to process the information to comply with a lawful obligation (Article 6 (1)(c) of the GDPR).
    4. ④ The information is required to protect your, or a third party’s, vital interests (Article 6(1)(d) of the GDPR), for example in the event of a medical emergency.
    5. ⑤ It is in FJ’s or a third party’s legitimate interests to process the personal information, and these interests are not overridden by your rights under the GDPR (Article 6(1)(f) of the GDPR).
  2. We encourage you to read this privacy policy carefully. If you do not wish your personal information to be used by us as set out in this privacy policy, please do not provide us with your personal information. Please note that in such a case, we may not be able to provide you with our services, you may not have access to and/or be able to use some features of this website, and your customer experience may be impacted.
  3. Legal Rights provided by the GDPR
    In accordance with the GDPR, the following legal rights are provided with:
    1. ① Request for disclosure:
      You can request copies of your personal information and details of how FJ processes it.
    2. ② Request for correction or updating:
      Corrections or updates to personal information will be undertaken wherever possible after due review of the request.
    3. ③ Request for erasure:
      You may request that FJ deletes all or part of personal information FJ holds about you. FJ will consider your request and, where the information is no longer required or the law does not permit FJ to continue to retain it, FJ will delete it.
    4. ④ Transferring your personal information:
      You can request a copy of your personal information in a structured, common, machine-readable format. This only applies to personal information which FJ obtains from you and process on the basis of your consent or in order to perform a contract, and which is processed by automated means.
    5. ⑤ Objecting to processing:
      You can object to processing which is carried out on the basis of FJ's or a third party’s legitimate interests or for the purpose of direct marketing. FJ will stop processing your information unless FJ has a strong reason to continue which overrides your objection. If your objection is to direct marketing, FJ will always stop.
    6. ⑥ Restricting how your personal information is processed:
      You can limit how FJ processes your personal information in certain circumstances. Where this applies, any processing of your personal information (other than storing it) will only be lawful with your consent or where required for legal claims, protecting certain rights or important public interest reasons.
    7. ⑦ The right to withdraw consent:
      If FJ is relying on your consent to process your personal information, you have the right to withdraw that consent at any time.
      Please be noted that the rights set out above are not absolute and do not apply in every situation. There are also legal exemptions which apply in some situations and mean a request may be refused.
  4. Where your personal information is stored and transferred
    FJ is located in Japan and almost all of the service providers and other organizations with whom FJ shares your personal information will be located in jurisdictions outside the EEA. It should be noted that Japan has been recognized by the European Commission as providing adequate protection for personal information.
    When transferring personal information to third parties FJ will ensure that it complies with the requirements of the GDPR, including the onward transfer requirements of the EU-Japan adequacy decision and related Japanese laws. However, you should be aware that recipients outside the EEA may be subject to national laws which do not necessarily provide equivalent protection for your personal information.
  5. Retention of personal information
    FJ retains your personal information until the purpose of use is achieved.
  6. Lodging a complaint with an authority
    You have the right to lodge a complaint on the processing of personal information with the data protection authority having jurisdiction over your residence.