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Privacy Policies
Participant Privacy Policy
Purpose and Scope
This Privacy Policy explains how Junipr Research collects, processes, stores, shares, and protects personal data, including special category data, in the context of clinical trials, research activities, and related processing operations. It applies to all personal data collected from individuals through websites, online forms, research surveys, email, telephone, mobile applications, physician referrals, and any other channel used to provide personal information to Junipr Research. Depending on the activity, Junipr Research may act as a data controller, a data processor, or a joint controller. All processing is conducted in accordance with the GDPR and supported by lawful, transparent, and secure data protection practices, including the appropriate use of explicit consent where required.
Collection of Personal Data
Junipr Research collects personal data only when relevant and necessary for the purpose for which it was provided. Individuals may submit data directly through forms, surveys, email, or communication with Junipr Research personnel, or indirectly through clinical investigators, healthcare professionals, or referring institutions. The types of personal data collected may include identification details such as name, date of birth, gender, and contact information; information submitted through questionnaires, consent forms, or online platforms; medical history, diagnostic information, and data required to assess eligibility for clinical trials; and lifestyle, demographic, or behavioural information where relevant. When personal data is obtained indirectly, Junipr Research provides all information required under GDPR Articles 13 and 14 within applicable timeframes unless an exemption under Article 14(5) applies.
All data collection activities are supported by a consent record provided by the data subject or, where applicable, by a legally authorised representative. Consent is obtained in accordance with GDPR requirements, meaning it is freely given, specific, informed, and unambiguous. Consent is documented in a durable and verifiable form. Individuals may withdraw consent at any time by contacting Junipr Research using the details provided in this policy. Withdrawal does not affect the lawfulness of processing performed before the withdrawal, and processing may continue where another lawful basis applies. Junipr Research processes special category data, including health data, only where necessary and strictly in accordance with Article 9 GDPR.
Lawful Basis for Processing
Processing of personal and special category data by Junipr Research relies on one or more lawful bases under the GDPR. For personal data, these may include consent, contractual necessity, compliance with legal obligations, or legitimate interests pursued by Junipr Research or a third party, provided such interests do not override the rights and freedoms of the data subject. The precise lawful basis applicable to each processing activity is specified in relevant study documentation or participant materials.
Special category data is processed strictly under Article 9 GDPR. Junipr Research relies on explicit consent under Article 9(2)(a); processing in the public interest in the area of public health under Article 9(2)(i); or processing necessary for scientific or research purposes under Article 9(2)(j), supported by the safeguards required by Article 89 GDPR.
Processing Data from Individuals Under the Age of 18
Junipr Research does not knowingly collect personal data from individuals under the age of 18 without verified parental or guardian consent. Where personal data from minors is required, Junipr Research ensures appropriate authorisation from a parent or legal guardian, provides age-appropriate information materials, and implements enhanced safeguards to protect the rights and privacy of minors. If Junipr Research becomes aware that personal data from a minor has been collected without proper consent, the data is deleted unless retention is legally required.
Purposes of Processing
Junipr Research processes personal data for specific, explicit, and legitimate purposes. These include identifying and assessing eligibility for participation in clinical trials; managing recruitment, enrolment, and communications with participants; conducting scientific research and validating study outcomes; complying with legal, regulatory, and ethical obligations; responding to inquiries, surveys, and requests submitted by individuals; and improving systems, services, and participant experience. Personal data is not processed for purposes incompatible with the purposes for which it was originally collected.
Scientific Research Safeguards
When processing personal data for scientific or research purposes, Junipr Research applies the safeguards required by Article 89 GDPR. These include limiting data collection to what is necessary for the research purpose; applying pseudonymisation or coding to identifiable data wherever feasible; restricting access to identifiable information to authorised personnel only; implementing technical and organisational controls that prevent unauthorised re-identification; and ensuring that identifiable data is retained only for the duration necessary to fulfil regulatory or scientific obligations.
Disclosure of Personal Data
Junipr Research may disclose personal data or special category data when necessary and lawful. Recipients may include study sponsors, contract research organisations, clinical investigators, healthcare professionals involved in the study, regulatory or supervisory authorities, or technology providers supporting secure data processing and storage. The role of each party receiving data, whether controller, joint controller, or processor, is clearly established. All disclosures are governed by written agreements ensuring confidentiality, data security, and compliance with GDPR obligations.
Data Security
Junipr Research implements appropriate technical and organisational measures to protect personal data against unauthorised access, alteration, disclosure, or loss. These measures include restricting access to authorised personnel, securing data transmission channels, protecting storage environments through appropriate safeguards, and ensuring that third-party service providers maintain equivalent security standards.
Data Retention
Junipr Research retains personal data and special category data only for as long as necessary to fulfil the purposes for which it was collected, or to meet legal, regulatory, and contractual obligations. Retention typically follows a period of fifteen years or as required by applicable clinical trial regulations, national laws, or ethical guidelines. After the retention period expires, personal data is securely deleted or permanently anonymised.
Rights of Data Subjects
Under the GDPR, individuals have the right to access their personal data, request correction of inaccurate or incomplete information, request deletion of personal data under permitted circumstances, restrict processing where applicable, request transfer of personal data in a structured format, object to processing based on legitimate interests, and withdraw consent at any time without affecting prior lawful processing. Requests to exercise these rights may be submitted using the contact details provided below. Junipr Research responds within the timeframes required under GDPR.
International Data Transfers
Junipr Research may transfer personal data to recipients located outside the European Economic Area when necessary for research activities, regulatory submissions, technology services, or collaboration with study partners. All such transfers are carried out in accordance with Chapter V GDPR and rely on appropriate safeguards, including adequacy decisions issued by the European Commission, Standard Contractual Clauses adopted under Article 46 GDPR, or other lawful transfer mechanisms. Where required, Junipr Research conducts transfer risk assessments and implements supplementary measures to ensure that personal data remains adequately protected.
Contact Details
Data Protection Officer
Junipr Research
Pachtersweg 150C
1500 Halle, Belgium
Email: dpo@juniprresearch.com
Complaints
Individuals who believe their data has been processed unlawfully have the right to lodge a complaint with the Belgian Data Protection Authority. Information and contact details are available on the website of the Gegevensbeschermingsautoriteit.
Updates to This Policy
Junipr Research periodically reviews and updates this Privacy Policy to reflect legal, regulatory, or operational changes. Material updates may be communicated directly to affected individuals where appropriate.
Consent to Data Processing
By providing your details and submitting any participant form in this website, you confirm that you have read and understood Junipr Research’s Privacy Policy and that you provide your explicit consent for Junipr Research (“Junipr Research”) to collect, store, and process your personal data, including health-related and other special category data, for the purposes described in that policy.
You understand that your data may be collected through various channels, including website and/or online forms, surveys, email, or via your physician, and that it may be used to assess your eligibility for participation in clinical trials, manage recruitment and study communications, conduct scientific research, ensure regulatory compliance, and improve Junipr Research’s and partners' services.
Your consent is the legal basis for processing your data where required under Article 6 and Article 9 of the General Data Protection Regulation (GDPR). You acknowledge that Junipr Research may share your data with authorised parties where necessary, including clinical investigators, study sponsors, research partners, and regulatory authorities, but only in accordance with GDPR and under appropriate safeguards and strictly for the purposes you provide you consent for.
You also understand that:
- You may withdraw your consent at any time by contacting Junipr Research at dpo@juniprresearch.com.
- Withdrawing consent will not affect the lawfulness of processing carried out before the withdrawal.
- You have rights under GDPR, including the right to access your data, request corrections, restrict or object to processing, request deletion, and request data portability.
If you believe your data is being processed unlawfully, you have the right to lodge a complaint with the Belgian Data Protection Authority.
Digital Privacy Policy
Purpose and Scope
This Digital Privacy and Cookie Policy explains how Junipr Research collects, processes, stores, shares, and protects personal data obtained through its website, online platforms, digital services, and social media channels. It applies to all visitors who access or interact with Junipr Research’s online content, including website browsing, social media engagement, newsletter subscriptions, contact forms, and online analytics data. The policy describes the types of data collected, the lawful bases relied upon, the use of cookies and similar technologies, and the rights of individuals under the GDPR.
Collection of Digital Personal Data
Junipr Research collects digital personal data when individuals visit the website, engage with Junipr Research on social media, complete online forms, subscribe to newsletters, or interact with embedded tools or analytics features. Data collected may include IP addresses, device identifiers, browser type, operating system, access times, pages viewed, referring websites, location approximations, and interaction metadata. When individuals choose to provide additional information through contact forms, subscription forms, or direct messages, Junipr Research may collect names, email addresses, phone numbers, and any information voluntarily submitted.
Junipr Research may also receive personal data indirectly through social media platforms when individuals comment on, like, share, or otherwise interact with Junipr Research’s content. For these interactions, Junipr Research receives only the information made available through the platform’s public settings or APIs and does not access users’ private account data.
Where personal data is collected indirectly or through external platforms, Junipr Research provides the required transparency information under Articles 13 and 14 GDPR.
Cookies and Similar Technologies
Junipr Research uses cookies, pixels, tags, and similar technologies to operate its website, improve user experience, analyse website traffic, measure performance, and support security. Cookies may store preferences, enable essential website functions, or support analytics and marketing activities.
Essential cookies are required for the website to function correctly and are placed automatically. Non-essential cookies, including analytics or advertising cookies, are placed only after individuals provide consent through a cookie banner or preference tool. Visitors may update or withdraw consent at any time by adjusting their cookie preferences in the cookie management interface available on the website.
Analytics technologies may record information such as pages visited, time spent on each page, interactions with buttons or forms, and general usage patterns. This data is used only to improve website functionality and user experience. When analytics tools are configured to process data outside the EEA, Junipr Research ensures that appropriate safeguards under Chapter V GDPR are implemented before any transfer occurs.
Purposes of Processing
Digital personal data is processed for specific, explicit, and legitimate purposes. These include operating and securing the website, enabling necessary site functions, responding to inquiries, processing online submissions, analysing aggregated usage patterns, improving user experience and website performance, informing content and service development, and ensuring compliance with regulatory and legal requirements.
Junipr Research does not process digital personal data for purposes that are incompatible with the purposes for which the data was originally collected.
Lawful Basis for Digital Processing
Junipr Research relies on several lawful bases for processing digital personal data. For essential cookies, website functionality, and security purposes, Junipr Research relies on legitimate interests to ensure the operation and integrity of the digital environment. For contact forms, newsletter subscriptions, and voluntary submissions, Junipr Research relies on consent or contractual necessity, depending on the context. For analytics and marketing cookies, Junipr Research relies exclusively on consent, obtained through a cookie banner compliant with GDPR and the ePrivacy Directive.
When personal data is collected through social media interactions, Junipr Research relies on legitimate interests in engaging with the public, maintaining an online presence, and responding to messages, comments, and requests.
Data Sharing and International Transfers
Junipr Research may share digital personal data with service providers that support website hosting, analytics, security, marketing tools, or communication platforms. Examples include website hosting partners, content delivery networks, analytics platforms, and email newsletter providers. These parties act under written agreements that impose confidentiality, data protection, and security obligations.
If personal data is transferred outside the European Economic Area, Junipr Research uses appropriate safeguards in accordance with Chapter V GDPR, such as adequacy decisions issued by the European Commission, Standard Contractual Clauses, or equivalent legally recognised mechanisms. Junipr Research conducts transfer impact assessments and implements supplementary measures when required to ensure that personal data remains adequately protected.
Data Security
Junipr Research applies technical and organisational measures to protect personal data collected through digital channels. These measures include encryption of data in transit, access controls, secure hosting environments, logging and monitoring, and regular review of security practices. External service providers are assessed to ensure that comparable safeguards are in place.
Retention of Digital Personal Data
Junipr Research retains personal data collected through digital channels only for as long as necessary to fulfil the purposes for which it was collected. Analytics data may be retained for limited periods defined by the analytics tools used, generally ranging from several months to two years. Data submitted voluntarily through online forms is retained for the duration required to address the inquiry or provide the requested service, and may be retained longer if necessary for legal or operational purposes. After the retention period expires, data is deleted or permanently anonymised.
Interaction Through Social Media
When individuals interact with Junipr Research through social media platforms, the processing of personal data is influenced by the privacy settings and policies of each platform. Junipr Research receives only the information that individuals choose to make available publicly or through their interaction with Junipr Research content. Junipr Research does not export, store, or reuse social media data beyond the scope of the interaction unless the individual provides the information voluntarily through direct communication or forms. Individuals should consult the privacy policies of the relevant social media platforms to understand how those platforms collect and process personal data.
Data Subject Rights
Individuals have the right to request access to their personal data, request corrections of inaccurate or incomplete information, request deletion of personal data where permitted, restrict processing in defined circumstances, request portability of personal data provided through digital forms, object to processing performed on the basis of legitimate interests, and withdraw consent at any time for cookie-based or marketing processing. Individuals may exercise these rights using the contact details provided below. Junipr Research responds to requests within GDPR-mandated timeframes.
Contact Details
Data Protection Officer
Junipr Research
Pachtersweg 150C
1500 Halle, Belgium
Email: dpo@Juniprresearch.com
Complaints
Individuals who believe that their personal data has been processed unlawfully may lodge a complaint with the Belgian Data Protection Authority. Information and contact details are available at the website of the Gegevensbeschermingsautoriteit.
Updates to This Policy
Junipr Research reviews and updates this Digital Privacy and Cookie Policy as necessary to reflect legal, regulatory, or technological changes. Updated versions will be published on the website. Where required, significant changes will be communicated directly to individuals who have previously interacted with the website or digital services.
Recruitment Privacy Notice
Junipr Research processes personal data submitted by individuals who express interest in engaging with the organisation in a professional capacity, whether for employment, for the provision of services as a supplier, or for collaboration as a freelance professional. Junipr Research acts as a data controller for this processing and complies with the General Data Protection Regulation and with the Belgian Act of 30 July 2018 on the protection of natural persons with regard to the processing of personal data.
Personal data processed for recruitment purposes may include identification details, contact information, information concerning educational background and professional experience, employment history, references, communication records, and any information voluntarily provided during an assessment process. Junipr Research may also obtain personal data indirectly through recruitment partners, referees, background-verification providers, or publicly accessible professional sources. When personal data is obtained from such third-party sources, Junipr Research provides the information required under Articles 13 and 14 GDPR unless an exemption applies.
Personal data is processed solely for the purposes of assessing professional suitability, evaluating qualifications, conducting communications relating to recruitment or professional engagement, verifying the accuracy of information where necessary and proportionate, complying with legal and regulatory obligations, and safeguarding the integrity of Junipr Research's operations. Junipr Research may conduct background verification when an individual actively seeks to be engaged by the organisation, provided such verification is necessary and proportionate for the role. Junipr Research does not process extracts of the Belgian criminal-record register unless this is expressly authorised by law and does not process information relating to criminal convictions unless legally required or strictly necessary for the position being considered.
Where special category data is voluntarily provided or is required by law, such data is processed only under the conditions set out in Article 9 GDPR and, when relevant, under Belgian legislation governing employment, social security, and occupational health. Access to such data is restricted to individuals who require it for lawful purposes.
The lawful bases relied upon for the processing of personal data in this context include the taking of steps at the request of the individual prior to entering into a contractual relationship, the legitimate interests of Junipr Research in identifying and assessing qualified professionals, the fulfilment of legal obligations, and explicit consent only where special category data is provided voluntarily and where consent may be considered valid in light of the circumstances. Junipr Research does not rely on consent as a lawful basis in contexts where the imbalance of power between the parties would render consent invalid.
Personal data processed for recruitment and professional-engagement purposes is retained only for as long as necessary to fulfil the purposes for which it was collected. In Belgium, Junipr Research retains such personal data for a maximum period of one year following the conclusion of the relevant recruitment or engagement process. Retention beyond this period occurs only where the individual has provided explicit, informed consent to remain under consideration for future opportunities or where longer retention is required to establish, exercise, or defend a legal claim. At the end of the applicable retention period, Junipr Research initiates a scheduled and documented deletion process. During this process, systems, repositories, and archives used for recruitment-related activities are reviewed to identify data that has reached the end of its retention period. Data for which valid extended-retention consent exists, or data required for legal-claim purposes, is excluded until the corresponding justification expires. All other personal data is permanently deleted using secure erasure methods that prevent reconstruction or recovery. Completion of the deletion process is recorded to demonstrate compliance with legal retention obligations.
If an individual has expressly authorised extended retention for future opportunities, this authorisation may be withdrawn at any time by contacting the Data Protection Officer at dpo@Juniprresearch.com. Withdrawal of consent does not affect the lawfulness of processing conducted prior to withdrawal, and all personal data will be deleted once the withdrawal has been processed unless another lawful basis justifies continued retention.
Personal data may be shared with service providers engaged to support recruitment-related operations, including communication platforms, hosting services, and background-verification partners. Such service providers operate under written agreements requiring confidentiality and compliance with data-protection obligations. Where personal data is transferred outside the European Economic Area, Junipr Research ensures that such transfers occur only under mechanisms permitted by Chapter V GDPR, including adequacy decisions, Standard Contractual Clauses, or other legally recognised safeguards, accompanied by transfer-impact assessments and supplementary measures where required.
Individuals have the rights of access, rectification, erasure, restriction, portability, and objection as provided under the GDPR. These rights may be exercised by contacting the Data Protection Officer at dpo@Juniprresearch.com. Individuals also have the right to lodge a complaint with the Belgian Data Protection Authority.