Legal · Denmark
Cookie policy
Cookies, local storage, and consent choices explained for visitors in Denmark and the wider EU.
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Last updated: 13 May 2026
1. Who we are (data controller for cookies)
This policy explains how Stunningspineglo.ddd (Sankt Jørgens Gade 119, 5000 Odense, Denmark; CVR 37887366; email welcome@stunningspineglo.world) uses cookies and similar technologies on stunningspineglo.world. For general processing of personal data, see our Privacy policy.
2. What cookies and similar technologies are
Cookies are small text files placed on your device when you visit a website. Similar technologies include, for example, HTML5 local storage, session storage, pixels, and scripts that read or write identifiers on your device. In Danish and EU regulatory language, rules often refer to “storing or gaining access to information in the user’s terminal equipment.”
3. Legal framework in Denmark
In Denmark, use of cookies and similar tracking is primarily regulated by:
- The GDPR, when cookies involve processing of personal data (for example, an identifiable user ID or data combined with other information).
- The Danish Executive Order on cookies (Bekendtgørelse om information og samtykke ved lagring af og adgang til oplysninger i end-users terminaludstyr — the executive order on information and consent for storage of and access to information in end-user terminal equipment), which implements the EU’s ePrivacy rules in Denmark and sets conditions for lawful access to terminal equipment.
- The Danish Act on Electronic Communications (lov om elektroniske kommunikationer) and related sector rules, where relevant to providers.
- The Marketing Practices Act (markedsføringsloven), including rules on unsolicited marketing and good marketing practice, where cookies are used for marketing or tracking for marketing purposes.
Guidance from Datatilsynet (the Danish Data Protection Agency) and the Consumer Ombudsman (Forbrugerombudsmanden) on websites and cookies should be read together with this policy.
4. Consent and “strictly necessary” storage
Under Danish ePrivacy implementation, non-essential cookies and similar technologies that are not strictly necessary to deliver a service explicitly requested by the user generally require prior informed consent before they are set or read, unless a specific narrow exemption applies.
Strictly necessary technologies are those needed to enable transmission of a communication or to provide a service you have explicitly requested — for example, load balancing, security, remembering cookie choices, or keeping a session alive for a form you are completing. We do not ask for consent for strictly necessary use, but we document the category here.
Where we rely on consent under the GDPR for optional tools (for example analytics or marketing), that consent must be freely given, specific, informed, and unambiguous (Article 4(11) GDPR). You must be able to refuse optional cookies as easily as you accept them; our banner therefore offers “Reject optional” and granular settings on an equal footing with “Accept all.”
5. Cookie categories on this website
- Strictly necessary: operation of the site, security, remembering your cookie preferences (including storage in
localStoragewhere we mirror that choice). These are always active. - Analytics (optional): would measure traffic or usage in aggregated or identifiable form depending on the tool; activated only if you opt in.
- Marketing (optional): would support measurement, remarketing, or social pixels if deployed; activated only if you opt in. Under Danish marketing law, marketing cookies must not be used in conflict with good practice or specific marketing rules.
Third-party content embedded on our pages (for example maps or fonts) may set their own cookies. Where we control placement, we require consent before loading optional third-party trackers; where we only embed a service, the third party’s policy and consent rules also apply.
6. How you can control cookies
On your first visit, a banner allows you to accept all optional categories, reject optional categories, or open cookie settings to toggle analytics and marketing separately. You may change your mind at any time by clearing stored preferences in your browser (for this site) or by contacting us for guidance.
Google Consent Mode v2: We load js/consent-init.js early in the page <head> so gtag('consent', 'default', …) sets analytics_storage, ad_storage, ad_user_data, and ad_personalization (plus related Advanced-mode keys) to denied until you choose otherwise; security_storage stays granted for basic integrity signals. When you save choices, js/main.js calls gtag('consent', 'update', …) so optional Google tags added later see the same state. If you deploy Google Tag Manager or gtag for Ads or GA4, place that snippet after consent-init.js and avoid firing measurement tags before consent updates.
You can also use your browser’s settings to block or delete cookies. Note that blocking strictly necessary cookies may break parts of the site.
7. Retention and documentation
Your cookie choice is stored locally (for example in localStorage) until you delete it or update your choice. Individual cookies set by analytics or marketing tools, when activated, will have durations defined by those tools; we document typical durations when those tools are enabled.
Current technical setup: As of the “Last updated” date on this page, no third-party analytics or marketing scripts are loaded on this static deployment; only your consent preference is written in the browser. If we add measurement or advertising tags, we will update this policy and the banner text before switching them on.
We maintain internal documentation of cookie categories and legal bases in line with accountability obligations under Article 5(2) GDPR.
8. Your rights
Where cookie data constitutes personal data, you have the rights described in our Privacy policy, including access, erasure, restriction, objection (including to processing based on legitimate interests where applicable), and withdrawal of consent at any time for processing based on consent.
9. Complaints
You may contact Datatilsynet about matters within its competence (Carl Jacobsens Vej 35, DK-2500 Valby, Denmark; www.datatilsynet.dk; dt@datatilsynet.dk; +45 33 19 32 00). Questions on unfair commercial practices may be directed to the Consumer Ombudsman (www.forbrugerombudsmanden.dk).
10. Updates
If we change our use of cookies or add new tools, we will update this policy and, where required, refresh consent collection.