Privacy Policies |
| Privacy Policies effective October 12, 2009 This is a General Motors Company ("GM") sponsored site. To view General Motors Company’s privacy statement click here: http://www.gm.com/privacy/#scope. GM will have access to your name and other personal information you enter here. GM dealers and third parties will also have access to personal information you enter here and your browsing activities on this page in order to provide you the dealer locator services you are requesting. The role of each party is explained below and links to applicable privacy statements are provided. Collection and Use of Your Information by GM When you choose a GM dealer and request a quote or ask a question, the personal information you provide is collected by GM and treated in accordance with the GM Privacy Statement for U.S. Consumers. To opt-out of GM contacting you for marketing purposes click here: http://www.gmcontactpreferences.com. In addition, GM’s use of cookies and other tracking devices is also discussed in GM’s Privacy Statement which you can access here: http://www.gm.com/privacy/#scope. Information Directed to Our Dealers When you complete a form on this website to ask a question of or request a quote from a GM dealer, the information you submit is forwarded by GM to the GM dealer you selected. Each GM dealer is independent of GM and the dealer you direct your communication to will have its own privacy statement. Please contact the dealer or visit the dealer’s website for more information on its privacy practices. Use of Cookies and Other Tracking Devices by Third Parties Cookies placed or recognized on your computer’s Web browser by third-party advertising companies on this or other websites are used in conjunction with web beacons at this website to evaluate online advertising or to tailor promotions and other marketing messages to you. One of the third-party advertising companies we use in conjunction with the web beacons on this website is DoubleClick. To learn how to “opt out” from the use of the DoubleClick web beacons, please visit http://www.doubleclick.net/us/corporate/privacy. To disable the collection of information by all web beacons used on this website, you must refuse cookies, as described in GM's Privacy Statement for U.S. Consumers, above. Changes to these Privacy Policies or Statements Any changes to the treatment of personal information collected on this site will be governed by the Privacy Statement or Policy of the collecting entity. Please review the individual Privacy Policy or Statement for changes. This Privacy Statement is effective as of October 12, 2009 Show Dealer Privacy Policy |
It is the policy of Blackwell-Baldwin, Inc. to take reasonable steps to protect the personal information of our customers. At a minimum, we will comply with the FTC Safeguards Rule, implementing the provisions of the Gramm-Leach-Bliley Act as they pertain to automobile dealerships. The requirements of the Safeguards Rule, and our policy with respect to each, follow. Blackwell-Baldwin, Inc. shall designate both a Compliance Officer and an Assistant Compliance Officer. Both the Compliance Officer and the Assistant Compliance Officer shall receive the same training (described below). In the event the Compliance Officer becomes unable, or unwilling to continue serving in that capacity, the Assistant Compliance Officer shall assume the Compliance Officer’s duties until such time as a new Compliance Officer can be designated and trained. The Assistant Compliance Officer may be made the Compliance Officer, in which case a new Assistant Compliance Officer shall be designated and trained. It is the policy of Blackwell-Baldwin, Inc. to never be without a Compliance Officer. The Compliance Officer shall be a management level employee of Blackwell-Baldwin, Inc. who has completed the requisite training and has never been convicted of a felony involving moral turpitude. The Compliance Officer must have the education, training and work experience necessary to reasonably be able to execute the duties of that office. The Compliance Officer shall conduct a risk assessment following the natural flow of customer information both inside and outside the dealership premises. The risk assessment shall identify how information is obtained from customers, how it is recorded, how it is transmitted, used, stored and, ultimately, destroyed. For each of those stages in the information cycle, the risk assessment shall identify (i) how unauthorized access to the information might occur; (ii) what steps the dealership is currently taking to prevent such unauthorized access to customer information; (iii) what steps could be taken to prevent unauthorized access to customer information. The Compliance Officer shall be responsible for ensuring the site-specific safeguards are designed and implemented. The safeguards shall address, at a minimum, the following items:
The Compliance Officer shall ensure that the information safeguards are audited no less than once per quarter, and the results of those audits recorded and stored. With the passage of time and the employee turnover normal to this industry, it is possible that elements of this policy may fall out of practice. This must not be allowed to happen. To prevent an erosion of the protection this policy seeks to create, the Compliance Officer shall conduct an audit no less than once per quarter to determine the continued effectiveness and implementation of this policy. In addition, an audit shall be conducted in the event a new computer network is installed, a breach of information security is detected, or other changed circumstance makes such an audit appropriate. The results of all such audits shall be recorded and stored. |