Privacy and data protection

Data protection & information security at baningo GmbH

We have been a strong and reliable partner of banks and insurance companies in Germany and Austria since 2015. The security of our customer data is always our top priority! To be able to guarantee this high level of data protection and information security, we have taken comprehensive technical and organizational measures. All our measures and processes are continuously reviewed and adapted to technical progress.

Data protection

Would you like to learn more about data protection and information security at baningo GmbH? We will be happy to answer your questions personally. Responsible for information security is:


baningo GmbH
Harald Meinl LLM.oec.
Co-Founder & Geschäftsführer
Sechskruegelgasse 2/7
1030 Vienna
Austria
+43 1 712 44 43 10
[email protected]

Harald Meinl

Compliant with the law in all our markets

Data protection and information security is our highest priority. All data is hosted in ISO27001 certified data centers in Germany. Numerous savings banks and banks have already inspected our processes and given the green light for implementation.

More than 10,000 satisfied customers

Many renowned companies have our software applications in use. You can now offer your customers new ways to connect with you digitally.

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Our FAQ about privacy

Where is our data stored?

Is our data safe in an emergency?

Is data transmitted and stored encrypted?

Which sub-processors does the baningo GmbH and how is appropriate data security ensured here as well?

Are processes established to train the Controllers in dealing with the rights of individuals under Articles 15 to 21 of the GDPR. support?

Does baningo GmbH offer a standard AV contract?

Does the company have a Data Protection Policy and are all employees regularly trained on compliance with the GDPR? trained?

Does baningo GmbH have an internal set of set of rules regarding data protection and information security?

Has a data protection officer been appointed?

Does baningo GmbH maintain a data processing register according to Art. 30 DSGVO?