This Policy explains privacy choices, contact details, browser storage and the limits between TangoCasinoCruise and external cruise providers.
Introduction
TangoCasinoCruise respects the importance of privacy and aims to explain clearly how personal details, device data, consent choices and communications may be handled when a visitor uses the website. This Privacy Policy describes the main categories of data that can be involved, the reasons for using that data, the situations in which it may be shared and the choices available to visitors. It should be read together with the Cookie Policy and the Terms and Conditions.
Privacy practices depend on the features that are active at the time of a visit. Some parts of the website, such as age confirmation and cookie preferences, may operate through browser storage. Other features, such as contact requests or newsletter registration, require a secure processing service before details can be delivered to the relevant team. When a feature is activated or changed, the related privacy wording should be reviewed so that it continues to describe the actual process accurately.
Scope of This Privacy Policy
This Policy applies to visits to TangoCasinoCruise.com and to interactions with the website’s own forms, preference controls, navigation tools and account-free communication features. It covers information supplied directly by a visitor, technical details created during a visit and choices saved in the browser. It also explains the boundary between this website and services operated by cruise companies, payment providers, ticketing systems, casino operators or other external organisations.
When a visitor follows a link to another website, requests a quote from a cruise provider, completes a booking, makes a payment or enters an onboard gaming area, the external organisation may collect information under its own privacy policy. TangoCasinoCruise does not determine how an external provider handles passenger records, payment credentials, identity documents, loyalty accounts or gaming activity. Visitors should review the provider’s current documents before submitting sensitive details.
Information Provided by Visitors
Visitors may provide details when they complete a contact form, request cruise information, join a mailing list or communicate by email or telephone. The fields may include a name, email address, telephone number, city, preferred cruise concept, expected travel period, number of adult travellers and a written message. A visitor should provide only the information needed for the request and should avoid placing passport numbers, payment-card details, health records or other highly sensitive material in a general message field.
Information supplied voluntarily may also include accessibility requests, dietary preferences, preferred communication method or questions about age restrictions and onboard entertainment. These details should be used only for the purpose for which they were supplied and should not be treated as confirmation of a reservation, cabin, sailing date or service. Where additional information is required, the visitor should be told why it is needed and how it will be used before collection.
- Contact and identification details supplied by the visitor.
- Travel interests, timing preferences and the number of adult travellers.
- The content of messages, questions and follow-up correspondence.
- Consent choices connected with newsletters, cookies or other optional features.
Contact Form Information
The contact form is designed to help visitors organise a request about cruise themes, departure areas, cabins, evening programmes or general travel preparation. Required fields are marked, validation messages are displayed near the relevant control and the privacy checkbox is not selected automatically. A completed form should be sent only through a secure endpoint that limits access to authorised personnel and protects the information during transmission.
Contact details may be used to read the request, reply to the visitor, ask necessary follow-up questions, prevent abuse and maintain an appropriate record of the conversation. They should not be used to create a casino account, charge a payment method or complete a booking without a separate and explicit process. If the request must be passed to a cruise provider, the visitor should be informed before the transfer or directed to contact that provider through its own secure channel.
Technical and Device Information
Like most websites, hosting and security systems may receive technical details when a page is requested. These can include an IP address, browser and operating-system type, device category, language, referring page, pages requested, timestamps, approximate region derived from network data and error logs. Such details can be necessary to deliver pages, maintain security, diagnose failures and understand whether the website works across common screen sizes.
Technical data should be used in a proportionate way. It should not be combined into a detailed advertising profile unless the visitor has received appropriate information and made the required choice. Where analytics are enabled, preference should be given to aggregated reporting, limited retention and settings that reduce unnecessary collection. Security logs may be retained for a different period from ordinary analytics because they help investigate abuse, malicious traffic or attempted unauthorised access.
Purposes of Processing
Personal information should be used for specific and understandable purposes. These may include answering a request, maintaining the website, remembering privacy choices, delivering a requested newsletter, measuring performance after consent, protecting the service against misuse, handling complaints and complying with obligations that apply to the operating organisation.
Information collected for one purpose should not automatically be reused for an unrelated purpose. For example, a travel enquiry should not be converted into a marketing subscription without a separate choice. When a new use is materially different from the original reason for collection, the visitor should receive additional information and, where required, a new opportunity to consent or object.
- Respond to questions and maintain relevant correspondence.
- Operate forms, age controls, cookie preferences and website security.
- Provide communications the visitor has actively requested.
- Improve usability through aggregated or consent-based measurement.
- Meet record-keeping, dispute-handling or legal requirements where applicable.
Legal Grounds
The legal basis for processing depends on the type of information, the feature used and the law that applies to the operating organisation and visitor. Consent may be appropriate for optional newsletters, analytics or marketing technologies. Steps requested by the visitor may support the handling of a direct enquiry. Legitimate interests may be relevant to basic security, fraud prevention and service administration when those interests do not override the visitor’s rights.
Some records may need to be handled because of a legal obligation or because they are necessary to establish, exercise or defend legal claims. Where consent is used, it should be specific, informed and capable of withdrawal. Withdrawing consent does not normally affect processing that took place lawfully before withdrawal. The operating organisation should document the basis actually relied upon rather than applying one basis to every activity.
Data Sharing
Personal information should be shared only when there is a clear operational or legal reason. Service providers may support website hosting, email delivery, form processing, security monitoring, analytics, customer support or document storage. They should receive only the data required for their task and should be subject to appropriate confidentiality, security and data-handling obligations.
Information may also be disclosed where required by law, a valid authority request, a court process or the protection of legal rights and safety. TangoCasinoCruise does not sell payment details or passenger documents, and general browsing should not require either category. If business ownership or service arrangements change, affected information may be transferred as part of that change subject to suitable safeguards and updated privacy information.
Third-Party Cruise Operators
Cruise providers control their own booking systems, passenger records, identity checks, payments, travel documents, cabin allocations, onboard accounts and casino-access rules. When a visitor continues to a provider, the provider may request information that is not collected on this website, including passport details, nationality, date of birth, emergency contacts, accessibility needs and payment information.
Before providing those details, visitors should read the provider’s privacy notice and confirm the identity of the organisation receiving the data. Questions about a provider’s records, payment security, passenger manifest or onboard activity should be directed to that provider. A link or description on TangoCasinoCruise does not make the website responsible for the provider’s separate collection or use of personal information.
International Data Transfers
Online services can involve processing in more than one country because hosting, email, security and support providers may operate internationally. A transfer may occur when information is stored, accessed or supported from another jurisdiction. The level of legal protection can vary between countries.
Where transfer rules apply, the operating organisation should identify the countries involved and use an appropriate transfer mechanism or safeguard. Depending on the circumstances, this may involve contractual protections, an adequacy decision, provider assessments or another method recognised by applicable law. Visitors should be able to request meaningful information about relevant safeguards without exposing confidential security arrangements.
Data Retention
Information should not be kept indefinitely. Retention periods should reflect the reason for collection, the sensitivity of the data, the length of the relationship, security needs, legal obligations and the time in which a dispute could arise. Enquiry correspondence may be kept long enough to answer the request and manage follow-up. Newsletter records may be retained while the subscription remains active, with a limited suppression record after unsubscribe.
Browser storage remains on the visitor’s device until it expires, is replaced or is removed through browser settings. Server security logs may follow a separate schedule because they help detect repeated attacks or investigate incidents. At the end of the relevant period, information should be deleted, anonymised or securely isolated where retention is required by law.
Security Measures
Reasonable security should combine technical and organisational controls. Depending on the active features, measures may include encrypted transmission, secure configuration, access controls, authentication, software updates, backup procedures, logging, staff confidentiality and careful selection of service providers. Access should be limited to people who need the information for a defined task.
No website or transmission method can guarantee absolute security. Visitors should use a trusted device, keep browsers updated, avoid sending sensitive details through open message fields and verify the destination before making any payment. Suspected security issues should be reported promptly through the contact channel so that they can be assessed and contained.
User Rights
Depending on applicable law, visitors may have rights relating to their personal information. These can include requesting access, correcting inaccurate data, asking for deletion, restricting certain uses, objecting to processing, receiving portable data or withdrawing consent. Some rights are subject to conditions and exceptions, especially where records must be retained for security, legal or dispute-handling reasons.
A request should identify the person and the relevant interaction clearly enough to locate the record. Additional verification may be required to prevent disclosure to the wrong person, but verification should be proportionate. The operating organisation should explain the outcome, any lawful limitation and the available complaint route within the period required by applicable law.
- Ask whether personal information is being processed.
- Request access to relevant records and an explanation of their use.
- Correct incomplete or inaccurate details.
- Withdraw optional consent or change cookie preferences.
- Request deletion, restriction, objection or portability where the law provides those rights.
Adult Audience and Age Restrictions
The website is intended for visitors aged 18 and over. The age gate asks for confirmation of adult status and does not require a full date of birth. The confirmation may be stored in the browser so that the gate does not interrupt every page view.
The website is not designed to collect information from children. If the operating team learns that personal information was submitted by a person below the applicable age, it should review and remove the information where appropriate. Cruise operators may apply higher age thresholds or additional restrictions for casino areas, alcohol service, cabins or specific itineraries, and their rules should be checked separately.
Third-Party Links
The website may link to cruise companies, ports, travel resources, maps, social platforms or other external services. Those services can use their own cookies, tracking tools and privacy practices. The presence of a link does not mean that TangoCasinoCruise controls the external site or its handling of information.
Visitors should check the destination address, read the relevant privacy notice and use secure payment or booking channels. Particular care is recommended before uploading identity documents, entering payment-card information or creating an account. Questions about an external service’s data should be addressed directly to that service.
Changes to This Policy
This Policy may be updated when website features, service providers, legal requirements or data-handling practices change. The “Last updated” date at the top of the page indicates the current published version. Material changes should be presented clearly, especially when they affect the types of information collected, optional tracking or the way visitors can exercise their choices.
Visitors are encouraged to review the Policy periodically. Where required, a new consent request may be shown before newly introduced optional processing begins. Previous versions may be retained internally to help explain which wording applied at a particular time.
Contact Information
Questions about this Privacy Policy, cookie choices or a personal-information request may be sent to [email protected]. A request should include enough detail to identify the relevant communication, but it should not include passwords, full payment-card numbers or unnecessary identity documents.
Postal correspondence may be addressed to TangoCasinoCruise, Av. Corrientes 1441, C1042 CABA, Argentina. Contact details may change, so visitors should use the details published on the website at the time of the request.
Privacy Contact
TangoCasinoCruise
Av. Corrientes 1441, C1042 CABA, Argentina
[email protected]
+54 11
4382 7160
Please do not send payment-card details, passwords or passport scans through a general email.