Ultimate Fitness Group Privacy Shield Notice
Ultimate Fitness Group, LLC d/b/a Orangetheory® Fitness (“Ultimate,” “we,” “us,” or “our”) complies with the E.U. – U.S. and the Swiss – U.S. Privacy Shield Framework as set forth by the U.S. Department of Commerce regarding the collection, use, and retention of personal information obtained from European Union (“EU”) member states and Switzerland and transferred to the United States. Ultimate has certified that its processing of personal information from EU member states and Switzerland is in accordance with the Privacy Shield Principles of Notice, Choice, Accountability for Onward Transfer, Security, Data Integrity and Purpose Limitation, Access, and Recourse, Enforcement and Liability (the “Principles”). You may view our certification at https://www.privacyshield.gov/list. Ultimate is subject to the investigatory and enforcement authority of the Federal Trade Commission.
- to provide and improve our services;
- for customer service purposes;
- for marketing purposes;
- for research and analytics purposes;
- to develop our franchise program; and
- to enable our franchisees to provide services to you in their independently owned and operated studios.
Contacting Us, Complaints and Dispute Resolution. EU and Swiss individuals who have questions or complaints about how we process their personal information may contact us at email@example.com. We will work to resolve your issue as quickly as possible, but in any event no later than 45 days of receipt.
If you are unable to resolve the issue directly with us, you may file, free of charge, a complaint with our independent dispute resolution provider, the International Centre for Dispute Resolution – American Arbitration Association (ICDR-AAA) located in the United States. For more information about ICDR/AAA’s dispute resolution process or to file a complaint, please visit http://go.adr.org/privacyshield.html.
EU and Swiss individuals may also submit complaints through their local Data Protection Authority (DPA). We will work with the Department of Commerce to resolve any complaints forwarded by a DPA. Finally, if we are unable to resolve any complaints through any of the above methods, EU and Swiss individuals may invoke binding arbitration in accordance with the Privacy Shield Framework.