Placeholder document
Privacy Policy
How Impossible Solutions will handle personal data submitted through this site. This is the working outline of that policy.
This document is an outline, not a finished policy. It marks out the structure and flags what still has to be completed and legally reviewed. It must be finished before Impossible Solutions collects personal data from the public. Questions in the meantime:
Outline last updated 12 September 2026.
Who we are
Impossible Solutions is an advertising company based in Hungary, working with advertisers across Europe.
To be completed
- Registered legal entity name, company registration number and registered address
- Named contact for data protection enquiries
- Whether a Data Protection Officer is required and, if so, their details
What this site collects
The Founding Advertiser application form collects a name, work email, company, website, country, industry, an approximate monthly advertising spend band, a primary goal, an optional message, the site language used, and a record that you consented to being contacted.
At the time of writing this site runs no analytics, no advertising pixels and no third-party trackers. The only cookie it sets records a language you have explicitly chosen.
To be completed
- Confirm the final list of fields if the form changes
- Restate this section if analytics or a cookie banner are ever introduced
- Document server log retention at the hosting provider
Why we process it, and on what legal basis
To be completed
- Purpose limitation statement for each processing activity
- Legal basis under the GDPR for each purpose (consent and/or legitimate interests)
- Legitimate interests assessment, where relied upon
Who we share it with
To be completed
- Processor list: hosting provider, CRM, email provider, with roles and locations
- International transfer mechanism where a processor is outside the EEA
- Confirmation that application data is not sold or used for advertising targeting
How long we keep it
To be completed
- Retention period for applications that do not become clients
- Retention period for client records and any statutory minimum
- Deletion process and who is responsible for it
Your rights
To be completed
- Access, rectification, erasure, restriction, portability and objection, and how to exercise each
- How to withdraw consent, and the effect of doing so
- Complaint route to the Hungarian supervisory authority (NAIH) and to other EU authorities
- Response time commitment