Below we provide you with an overview of how your data is processed on our social media pages.
We, Lilium GmbH, Claude-Dornier Str. 1, Geb. 335, 82234 Wessling, registered with the commercial register of the local court (Amtsgericht) Munich under HRB 216921, represented by the managing director Daniel Wiegand, operate the following pages (“Social-Media-Pages”) on the following social media networks (“Social Media”):
- LinkedIn: linkedin.com or linkedin mobile app by LinkedIn Corporation, Legal Department – Privacy, 1000 W. Maude Ave, Sunnyvale, CA 94085, USA / LinkedIn Ireland Unlimited Company, Wilton Plaza, Wilton Place, Dublin 2, Ireland, please also refer to https://www.linkedin.com/legal/privacy-policy / https://www.linkedin.com/psettings/privacy
1. Controller for Data Processing
When you visit our Social-Media-Pages, data is processed both by us and by the responsible social media provider as the responsible party.
The respective provider of Social Media assumes the data protection obligations towards you as the user, such as information on data processing, and is the contact person for your rights. This follows from the fact that such provider has direct access to the relevant information on the Social-Media-Page and the processing of your data. However, you are also welcome to contact us via https://www.lilium.com/imprint if this should become necessary and we will then forward the request to the respective provider if necessary.
2. Transmission of Data; Data Processing outside the EU
When using Facebook, Instagram, Twitter, LinkedIn or YouTube data may also be processed outside the EU.
The US companies of Facebook, Instagram, Twitter, LinkedIn and Google are each certified in accordance with the EU-US Privacy Shield agreement, which guarantees compliance with data protection regulations in the EU. For more information please refer to: https://www.privacyshield.gov
3. Data Processing and Legal Basis
With our Social-Media-Pages, we can communicate with you and provide you with interesting information. We may receive further data from you through your comments, shared images, messages and reactions, which we then process to answer or communicate with you. If you use Social Media on several end devices, a cross-device analysis of the data can take place.
Data processing takes place with your consent or for the purpose of answering your enquiry (Art. 6 (1) a, b GDPR) or on the basis of legitimate interests in improving the services and presentation to the outside world (Art. 6 (1) f GDPR).
Use of Page Insights and Cookies on Facebook
On our Facebook pages the Page Insights function to process statistical data from users is used. (see also the agreement at: https://www.facebook.com/legal/terms/page_controller_addendum). This involves the processing of data in the form of so-called 'page insights' by Lilium and Facebook, which are described in more detail at https://www.facebook.com/business/a/page/page-insights.
Evaluations and statistics are generated in the form of page insights from the usage data of the Facebook pages, which support us in improving our marketing activities and our external presence. We may also learn about users and their behavior who interact with or use our Facebook Pages to display relevant content and develop features that may be of interest to them. These page statistics show us, for example, which people from certain target groups interact most with our Facebook Page or which content on the Facebook Page was visited, shared or liked when and how often. When classifying people into target groups, demographic data or data about the location of a person is also included in order to place targeted advertisements with these people. If you use Facebook on several end devices, a cross-device analysis of the data can take place. The data collected in this way is statistically processed and usually anonymous, i.e. we cannot establish any reference to the individual person.
Information on these page insights and data processing can be found, for example, in Facebook's data protection statement at https://www.facebook.com/policy.php or at https://www.facebook.com/business/a/page/page-insights.
Display of Content and Cookies when using Twitter
Data processing and Cookies when using LinkedIn
On our LinkedIn pages LinkedIn and Lilium may use your data for careers and recruiting services (see also the data processing agreement: https://legal.linkedin.com/dpa). Data on how you use LinkedIn may be shared with us and certain third parties as described in detail here: https://www.linkedin.com/legal/privacy-policy#share
Data processing via YouTube and Google Account
When you have an existing YouTube or Google account your account data will be connected and processed. If you do not wish this to happen, you should log out from your existing YouTube or Google account. For further information please refer to https://policies.google.com/privacy.
Instagram Insights and Cookies on Instagram
When using Instagram and you have an account there, Instagram can assign your activities to your profiles there. On our Instagram pages the Instagram Insights function to process statistical data from users is used (see also for Facebook which is connected to the provider of Instagram the agreement at: https://www.facebook.com/legal/terms/page_controller_addendum). This involves the processing of data in the form of so-called ‘Instagram Insights’ by Instagram and Lilium, described in more detail at https://help.instagram.com/788388387972460?helpref=faq_content.
Evaluations and statistics are generated in the form of Instagram Insights from the usage data of the Instagram pages, which support us in improving our marketing activities and our external presence. Instagram Insights lets us learn more about our users and the performance of our website. For this purpose Instagram provides us with statistics on specific posts and stories created to find out how users interacted with them. When classifying people into target groups, demographic data or data about the location of a person is also included in order to place targeted advertisements with these people. If you use Instagram on several end devices, a cross-device analysis of the data can take place. The data collected in this way is statistically processed and usually anonymous, i.e. we cannot establish any reference to the individual person.
4. Your Rights and Objections, Contact Details
In accordance with the statutory provisions, you as the data subject have the right to receive information about your data stored by us free of charge at any time.
In addition, you can assert your rights to correction, deletion or restriction of the processing or the right to object at any time. This also applies to your right to receive your data in a structured, current and machine-readable format or (if applicable) to request the transmission to another person responsible (data portability).
If you have provided us with your personal data on the basis of a consent, you can withdraw the consent at any time for the future.
As explained above, these aforementioned rights must be exercised vis-à-vis Facebook, Twitter, LinkedIn, YouTube or Instagram respectively.
You or the person affected also have the right to lodge a complaint with a supervisory authority at your choice (for example: https://www.datenschutz-bayern.de/vorstell/impressum.html). An overview of the Data Protection Authorities may be found here: https://www.bfdi.bund.de/DE/Infothek/Anschriften_Links/anschriften_links-node.html or http://ec.europa.eu/newsroom/article29/item-detail.cfm?item_id=612080
As a Facebook user, you can at any time influence how your user behavior is recorded when you visit Facebook pages. To do this, you can manage the settings for advertising preferences in your Facebook account or at https://www.facebook.com/ads/preferences, or the Facebook settings in your account or at https://www.facebook.com/settings. Facebook also provides opportunities to contact or exercise rights at https://www.facebook.com/help/contact/2061665240770586 or https://www.facebook.com/help/contact/308592359910928.
As a Twitter user, you can at any time influence how your user behavior is recorded when you visit Twitter pages. To do this, you can manage the settings for advertising preferences in your Twitter account or under https://twitter.com/personalization or https://twitter.com/de/privacy#overlay-chapter2.10.1 or without an account under https://pscp.tv/account/settings. Twitter also provides opportunities to contact or exercise rights at https://help.twitter.com/forms/privacy.
As a LinkedIn user, you can at any time influence how your user behavior is recorded when you visit LinkedIn pages. To do this, you can manage the advertising and general settings in your account under https://www.linkedin.com/psettings/privacy. LinkedIn also provides opportunities to contact and exercise rights under https://www.linkedin.com/legal/privacy-policy, https://www.linkedin.com/legal/cookie-policy and for individual messages online via https://www.linkedin.com/help/linkedin/ask/TSO-DPO.
As a YouTube user, you can at any time influence how your user behavior is recorded when you visit YouTube pages. To do this, you can manage the advertising and general settings in your account under https://www.youtube.com/account or https://policies.google.com/privacy#infochoices, https://myaccount.google.com/privacycheckup. YouTube/Google also provides opportunities to contact (for example via: https://support.google.com/) and exercise rights under https://support.google.com/policies/troubleshooter/7575787?hl=en-GB.
As an Instagram user, you can at any time influence how your user behavior is recorded when you visit Instagram pages. To do this, you can manage the settings for advertising preferences in your Instagram account or under https://www.instagram.com/accounts/privacy_and_security/. Instagram also provides opportunities to contact or exercise rights at https://help.instagram.com/contact/1845713985721890 or http://instagram.com/about/legal/privacy/