Disclaimer

1.) All texts, images, graphics and their entire layout on the website of the Rural Credit Guarantee Foundation (AVHGA) are protected by copyright and other laws. The content of the website may not be copied, distributed, modified or made available to third parties for commercial purposes. 

This website was compiled by content development experts and participants in web development using their utmost diligence. The information and data displayed at this website are for guidance only and AVHGA takes no liability for the completeness or alteration of such information and data. The effective conditions for use of the services provided by AVHGA are included in its General Business Conditions and General Conditions of Contract.

2.)AVHGA undertakes to fully comply with the provisions of Act LXIII of 1992 on the Protection of Personal Data and the Disclosure of Information of Public Interest in the course of processing and handling the personal data that might have come to its knowledge. The Foundation protects all personal data and information that have come to its knowledge – in particular, against unauthorized access, alteration, forwarding, disclosure, erasure or destruction, as well as against accidental loss or damage – and manages such data and information as bank secret within the meaning of Act CXII of 1996 on Credit Institutions and Financial Enterprises.

Your personal data disclosed at our website will be stored and processed with the view to provide you individual services and to send you information on our products and services.  Your data will not be forwarded to third parties.

Your data recorded will be processed by AVHGA (our data protection registration No.: 02235-0001). Please forward your complaints on data protection to our internal data protection officer using the contact module "Do you have any questions?" indicated on the opening page of the Foundation's website.

3.)In the cases defined in Act CXXXVI of 2007 on the Prevention and Combating of Money Laundering and Terrorist Financing, so in particular when customer relations are established and/or if the value of a cash transaction is HUF 3.6 million or more, customer due diligence  is mandatory. In accordance with legal regulations, personal identification documents need to be presented during administration.