Privacy Policy
FIRLAN ADVOGADOS is founded on ethics, professional confidentiality, and an uncompromising commitment to the security and protection of your personal data. This Privacy Policy was prepared to ensure full transparency regarding how we collect, use, and protect your information while you browse our institutional website and while we provide our services.
To make this document easier to understand, the main terms used are defined below:
Personal Data: Information that identifies or may identify the user (an individual). It may be provided by the user or by third parties.
Sensitive Personal Data: Data concerning racial or ethnic origin, religious beliefs, political opinions, membership in a trade union or religious, philosophical, or political organization, as well as data concerning health, sex life, genetics, or biometrics.
Controller: The individual or legal entity responsible for decisions regarding the processing of personal data.
Processor: The individual or legal entity that processes personal data on behalf of and in the interest of the Controller.
Data Protection Officer (DPO): The person appointed by the Controller to act as a communication channel between the company, data subjects, and the Brazilian National Data Protection Authority (ANPD).
User: A general term used to refer to individuals who browse our website.
Website: Refers to the domain https://www.firlanadvogados.com.br/.
FIRLAN ADVOGADOS: A private legal entity registered under Brazilian Corporate Taxpayer ID (CNPJ) No. 26.705.113/0001-86, headquartered at Empresarial Terra Brasilis, Suite 1003, Av. da Paz, 1864 – Centro, Maceió – AL, ZIP Code 57020-440, Brazil.
1. Legal Bases and User Consent
The collection, storage, and processing of personal data by FIRLAN ADVOGADOS are carried out on the legal bases provided for under the Brazilian General Data Protection Law (LGPD), including the data subject’s consent, compliance with legal and regulatory obligations, and the regular exercise of rights in judicial, administrative, or arbitration proceedings.
When you use our contact form or browse our website, we request your consent to process the information provided. In the event of updates to this Policy or specific needs, new consent may be requested to ensure legal certainty.
2. Personal Data Collected
To provide efficient and targeted assistance through our institutional website, we collect essential information based on your interaction with the website. When completing the “Contact Us” form, the following data are collected:
- Full name
- Telephone number (optional)
- Email address
- State of the Federation
3. Purpose of Data Processing
The processing of your personal data strictly complies with the purpose limitation principle. The information is used exclusively to:
- Establish direct communication with users who request contact.
- Ensure infrastructure management, service operations, and compliance with internal governance and compliance policies.
- Improve information security and the usability of our digital platforms.
- Comply with legal and regulatory obligations, as well as judicial requests or requests from the ANPD.
- Protect our operations, preserve professional confidentiality, and defend against fraud.
4. Processing of Sensitive Personal Data
Due to the legal nature of our services, if the processing of sensitive personal data becomes necessary, it will be carried out under strict security and confidentiality protocols. FIRLAN ADVOGADOS does not share this information with third parties, except when strictly necessary for the filing, conduct, and monitoring of judicial or administrative proceedings in the data subject’s best interest.
5. Sharing Data with Third Parties
FIRLAN ADVOGADOS does not sell the data of its clients or users under any circumstances. To support our institutional operations, data are shared only when required by law, based on a legitimate interest, or supported by valid consent, and only with essential support platforms, such as:
- Corporate communication and email management systems.
- Payment management institutions or platforms.
- Automation systems for issuing invoices and managing accounting activities.
These technology partners may have servers located in Brazil, the United States, or the European Union. We carefully select our service providers to ensure that they operate in compliance with the LGPD guidelines and ANPD regulations.
6. Data Retention and Disposal
We adopt technical and administrative procedures to securely manage, retain, anonymize, or dispose of your data. Your information is retained in our systems only for as long as necessary to:
- Properly provide legal and consulting services.
- Fulfill the purposes described in this Policy.
- Protect the firm’s rights and comply with statutory limitation periods or legal obligations.
7. Your Rights as a Data Subject
In accordance with Brazilian Law No. 13,709/2018 (LGPD), data subjects are guaranteed facilitated exercise of the following rights:
- Confirmation that processing is taking place and access to stored data.
- Correction of incomplete, inaccurate, or outdated information.
- Anonymization, blocking, or deletion of data considered unnecessary or excessive.
- Data portability to another service provider, upon express request.
- Deletion of data processed based on consent, except where retention is required by law.
- Clear information about the public or private entities with which the data have been shared.
- Information about the possibility of refusing consent and the corresponding consequences.
- Withdrawal of consent at any time.
To exercise these rights, the data subject must send a request directly to our Data Protection Officer.
8. Data Controller
FIRLAN ADVOGADOS acts as the Controller of personal data collected through this institutional website, as well as all information concerning individual clients processed in our internal database during the provision of legal services.
9. Information Security
We employ high-standard technical, organizational, and physical measures to protect your data against unauthorized access, loss, or alteration. We use cloud computing services with encryption and advanced security protocols. In the event of any incident that may pose a relevant risk, the firm will promptly notify the data subjects and the ANPD, in compliance with legal requirements.
10. Policy Updates
This Privacy Policy may be periodically reviewed and updated to reflect improvements in our practices or changes required by legislation. We recommend visiting this page regularly. In the event of substantial changes, users may be notified and, where necessary, asked to renew their consent.
11. Cookie Management
We use cookies on our website exclusively to improve your browsing experience and ensure the proper operation of the platform. You have full control to manage, block, or delete cookies at any time by accessing your internet browser’s privacy settings or using third-party blocking tools.
12. Contact Information for the Data Protection Officer (DPO)
To uphold our commitment to your privacy, we have appointed a Data Protection Officer (DPO) responsible for guiding our practices and responding to your requests.
If you have any questions about this Privacy Policy or wish to exercise your rights as a data subject, please contact:
- Name: Bruno de Lima Acioli
- Email: dpo@firlan.com.br
FIRLAN ADVOGADOS reaffirms its ongoing commitment to privacy, information security, and the professional confidentiality essential to legal practice. We continuously work to ensure that your data are processed ethically, transparently, and in full compliance with applicable law.
Last updated on July 30, 2026.
