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Datenschutzerklärung

Privacy policy for Superpos.online

As of January 2026

Virtual cloud cash register

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Over 1 million satisfied customers

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Cloud-based POS

Real-time reports

Sales Overview

1. Verantwortlicher

The controller within the meaning of the GDPR is:

Superkasse GmbH
Lothringer Str. 47

23564 Lübeck
info@superkasse.de

2. Subject of data processing

Superpos.online is a cloud-based point-of-sale software. The processing of personal and company-related data is a mandatory requirement for the operation of the system.

Without this processing, use is technically and economically impossible.

3. Categories of processed data

The following data is processed in particular:

  • Company and contact details

  • User and access data

  • Cash register, sales, transaction and payment data

  • Article, price and configuration data

  • technical usage, log, diagnostic and security data

  • all data generated through the use of the system

The processing is done both automatically and manually.

4. Purposes of processing

The processing is carried out for the following purposes:

  • Provision and operation of Superpos.online

  • Contract execution and invoicing

  • technical maintenance, support and fault analysis

  • Security, abuse and fraud prevention

  • Further development, optimization and economic use of the system

  • Fulfillment of legal obligations

The processing is done both automatically and manually.

5. Legal basis

The processing is based in particular on:

  • Article 6 paragraph 1 letter b GDPR (performance of a contract)

  • Article 6 paragraph 1 letter f GDPR (legitimate interest of the provider in operation, security and economic use)

Where necessary, processing is also carried out on the basis of legal obligations.

6. Weitergabe an Dritte

Personal and company-related data may be passed on to third parties if this serves the purpose of providing the service.

This includes in particular:

  • Hosting and cloud providers

  • Payment and billing service providers

  • Fiscalization, TSE and compliance partner

  • technical service providers, support and development partners

All recipients act within the framework of contractual agreements with the provider.

7. Storage duration

Data will be stored for the duration of the contractual relationship and beyond, insofar as:

  • There are statutory retention obligations.

  • legitimate business interests exist

  • subsequent traceability, verification or reactivation is required

Deletion will only occur in accordance with minimum legal requirements.

8. Rights of Data Subjects

Data subject rights exist only within the framework of legal provisions and may be restricted insofar as:

  • conflict with legal obligations

  • overriding legitimate interests of the provider exist

9. Data security

The provider takes appropriate technical and organizational measures to protect the data.

Absolute protection cannot be guaranteed.

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