International Data Transfer Policy
International Data Transfer Policy
This policy explains under what conditions and with what safeguards Prime VIP Transfer transfers personal data outside Turkey (EU/EEA or third countries), in accordance with Turkish Data Protection Law (KVKK) Art. 9, the EU GDPR and related legislation.
1. Scope of Transfers
Your personal data may be transferred to recipients abroad where necessary for reservation and payment processing, customer service or technical infrastructure (e.g. servers, cloud providers) in connection with VIP transfer and tour services. Transfers are based only on legitimate grounds such as performance of the contract, legal obligation or explicit consent.
2. Adequate Protection and Safeguards
Whether the destination country offers adequate protection is assessed under KVKK and (for EU users) the GDPR. Where adequate protection is not recognised, appropriate safeguards such as standard contractual clauses (SCCs), binding corporate rules (BCRs) or approved codes/certification are used.
3. Types of Recipients
Recipients may include affiliated companies, payment institutions, cloud/server providers or support partners. Recipients are obliged to process data only for the specified purposes.
4. Your Rights and Complaints
Your rights under KVKK Art. 11 and (for those resident in the EU) under the GDPR are reserved. EU users may lodge a complaint with their local data protection authority.
Last updated: February 2026