Aon Privacy Statement – South Korea
To read this page in Korean, click here
PRIVACY POLICY SUMMARY
At Aon, we do our utmost to protect the privacy of our customers. The Privacy Policy (hereinafter “Policy”) informs you on how the company collects and uses personal information collected in Korea. This Policy, pursuant to the laws of the Republic of Korea, is applied to all personal information provided to Aon by customers as well as personal information collected by the company via other methods.
To view the Foreword of the company’s Privacy Policy, click here.
What forms of personal information is collected by Aon?
According to the services provided by the company to the customer, the company may collect personal information such as the customer’s name, contract details (position, department name, email address, company name, phone numbers (work, home, mobile), fax numbers (office, home), address (city, province, country), and postal code), date of birth, place of birth, nationality, gender, marital status, number of children, financial information (including assets and liabilities), credit card information (card company, card type, card number, expiration date), employment information (date of hire, duration of employment, office location, job responsibilities, job level, compensation, pension, salary, areas of responsibility), and benefits. The company also collects sensitive information such as the customer's criminal records (criminal conviction records, traffic law violations, and arrest records), information related to health status (medical records, medical history, family medical history, disabilities, blood type, drug test results, and various medical test information), professional liability insurance, workers' compensation, or welfare programs provided by the customer's employer. When the customer provides such personal information to the company in order to request the purchase of products or the provision of services, the company shall seek prior consent from the customer (pursuant to applicable laws) to collect, use, and disclose such information to appropriate third parties as specified in this policy.
Personal information is also collected in the following cases.
Customer visits to the Aon website
When customers visit the Aon website or exchange emails with the company, Aon automatically collects personal information of customers. This includes the use of automatic information collection technology such as web server logs, “cookies,” and web beacons that collect IP addresses. The collection of personal information improves the Aon website and the efficacy of marketing activities.
Through the use of microsites and mobile applications related to the Aon website, the company saves cookies on the customer’s device specified in the Cookie Notice as explained in this policy.
The Aon website may include links that are not within the company’s scope of control and lead to sites that are not protected by this policy. Therefore, it is recommended to review the privacy policy of each website you visit.
Accessing Aon via social media
The customer may access the company through specific features of the Aon website that integrated with social media websites or social media sites. Customers who have accessed the company through social media have permitted Aon’s access to the personal information (example: name, email address, photograph, gender, birthday, city of residence, posts made by the customer, and “liked” posts) of the customer’s social media account.
Accessing Company website using Mobile Devices
When the customer accesses the company's website via mobile phone or mobile device, the company (with prior consent from the customer or regulatory approval pursuant to applicable laws) collects the device's operating system, service provider, and location information, along with the Unique Device Identifier (UDID) and the mobile device's IP address.
Details
How does Aon use personal information of customers?
The company uses personal information of customers to provide and manage services and products. Should the company intend to use personal information for other purposes, prior consent from the customer shall be obtained.
Details
Does Aon provide personal information of customers to others?
The company does not lend, sell, or disclose personal information of customers visiting the company website to third parties that are not business partners for marketing purposes.
The company discloses personal information of customers to affiliated business partners and service providers to provide and manage products and services. Furthermore, personal information of customers may be disclosed as a result of corporate acquisitions/mergers or requests from government authorities.
Details
Does Aon transfer personal information of customers overseas?
Aon may transfer, pursuant to applicable laws, personal information of customers overseas to Aon affiliates located abroad or to service providers acting on behalf of the company. Before the customer provides personal information to the company, the company shall request consent from the customer (pursuant to applicable laws) to collect, transfer overseas, store, and process the customer's personal information. The overseas transfer of personal information shall be pursuant to applicable laws including the Personal Information Protection Act, the European Standard Contractual Clauses, the U.S.-EU Safe Harbor Framework, or equivalent personal information transfer agreements, to ensure security and confidentiality.
In what ways can the customer or the customer’s legal representative exercise rights related to privacy?
Aon takes appropriate measures to maintain personal information of the customer accurately and completely. If the customer has created a profile or account on the company’s website, they can amend their personal information by logging into their account. Furthermore, the customer may also contact the company by email or via the postal address provided under “Company Contact Information” below.
Details
Does Aon take safety measures to protect the personal information of customers?
Aon implements appropriate physical, technical, and administrative safety standards to prevent the loss, misuse, alteration, or damage of personal information.
The company's service providers and agents are contractually obligated to maintain the confidentiality of personal information and are not permitted to use such information for any unauthorized purposes.
Does Aon collect personal information of children?
The company website is not intended for children, and the company does not intentionally collect personal information from children through its website.
Company Contact Information
If you have any questions regarding this policy, please contact us at the address below.
Furthermore, please direct any inquiries to the Compliance Department or the Compliance Officer at the following address.
29th Floor, East Wing of the Center 1 Building, 26, Eulji-ro 5-gil, Jung-gu, Seoul, Korea
Changes of the Policy
The company shall update this policy from time to time. It is recommended that the customer periodically reviews this policy to stay informed about the company's privacy protection measures. This policy was last updated on July 22, 2024.
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To view the Privacy Policy of each country, click here..
PRIVACY POLICY FOREWORD – KOREA
Aon Korea Insurance Brokerage Co., Ltd. (hereinafter referred to as “Company” or “Aon”) does its utmost to protect your privacy. Through the Privacy Policy (hereinafter “Policy”), we inform the customer of how the personal information provided is being used and the measures taken to protect your privacy. Pursuant to the laws of the Republic of Korea, this Policy applies to all personal information provided by the customer to the company as well as all personal information collected by the company through other means.
1. Forms of personal information collected
Depending on the service provided to the customer by the company, the company may collect personal information from the customer to provide and manage services and products.
The services provided by the company include insurance brokerage, claims management, risk management consulting, and other forms of insurance consulting services, as well as employee welfare program management, human resources consulting, etc.
The company may collect personal information such as the customer’s name, contract details (position, department, email address, company name, phone numbers (office, home, mobile), fax numbers (office, home), address (city, state, country) including postal code), date of birth, place of birth, nationality, gender, marital status, number of children, financial information (including assets, liabilities, and income), credit card information (card company, card type, card number, expiration date), employment information (date of hire, duration of employment, office location, position, level, compensation, pension, salary, areas of responsibility), and salary. The company may also collect sensitive information such as the customer's criminal records (criminal conviction records, traffic law violations, and arrest records), information related to health status (medical records, medical history, family medical history, disabilities, blood type, drug test results, and various medical test information), professional liability insurance, workers' compensation, or welfare programs.
To facilitate this, the company requests customers to provide accurate personal information necessary to fulfill their service requests. By doing so, the company shall request prior consent from the customer (pursuant to applicable laws) for the collection, use, storage, and disclosure of such personal information to appropriate third parties, as specified in this policy.
Personal information collected directly from the customer may be provided to the affiliates of the company or third parties (such as employers, insurance companies, insurance brokers or agents, credit bureaus, motor vehicle and licensing authorities, financial institutions, medical institutions, etc.). If the customer provides personal information about other individuals (such as employees, dependents, etc.), the customer must obtain their consent before disclosing it to Aon.
The company may collect personal information when customers visit the company website.
For the purposes of this policy, “website” includes the mobile application of the company. When the customer uses microsites and mobile applications related to the Aon website, the company saves cookies on the customer’s device as specified in the Cookie Notice.
In this case, the company collects personal information of the customer to fulfill the customer’s product and service requests and to improve the online experience of the customer. The company limits the collection of personal information as much as possible to align with the original purpose of collection.
When the customer registers for events, requests services, manages accounts, accesses various types of content and features, or directly visits the company website, the company may request some or all of the following types of personal information. Such information shall include, but not be limited to:
- Contact information such as name, email address, postal address, phone number, and mobile number
- Username, password, and password security questions and answers.
- Customer communication preferences, such as newsletters they wish to receive.
- Search queries.
- Contact information of other individuals when the customer refers a friend to a specific site or service (Note: this information is only used to facilitate the requested communication).
- Information posted in community discussion boards and other interactive online features
When the customer visits the company website or exchanges emails with the company, Aon automatically collects certain types of personal information. Automated information collection technologies include web server logs that capture IP addresses, the use of “cookies,” and web beacons. The collection of such personal information helps improve the efficacy of the Aon website and marketing activities.
Cookie Information: Aon collects personal information from the customer while the customer visits the Aon website using cookies. Cookies are a type of programming information that is included in small text files that are saved on the internet browser or hard disk. The customer may control cookie permissions by changing the basic settings of their internet browser. The customer may accept all cookies and may receive notifications if all cookies are set or rejected. If the customer rejects all cookies (including essential cookies), all or some of the company site may not be accessible, and company services that require cookies may not be available or participation in activities may not be possible. Aon uses cookies to distinguish between customers and other users of the company website, and cookies aid in building comprehensive statistics regarding the status of company website usage.
At times, Aon uses tracking technology such as web beacons to collect information regarding customer visits to the Aon website. These are small digital images or email messages included in the web content, and general users cannot view them. This tracking technology is accessed by users of the Aon website and helps the company track pages and contents that are opened. Such technology is useful to make it more convenient for customers to search the company website, improves the content of the company, and supports optimization of customer experience. Detailed information can be seen on the company’s Cookie Notice.
Please refer to the following site for details regarding Cookies. www.allaboutcookies.org.
Connecting to external websites:
The Aon website may include links that are not within the company’s scope of control and lead to sites that are not protected by this policy. In the event that the customer uses these links to access other websites, the site administrator may collect personal information from the customer pursuant to their own privacy policy. Therefore, it is recommended that you review the privacy policy of the external websites you visit. Aon is not responsible for the content, privacy policy, or any usage of linked external sites.
The Aon website is not controlled by this policy and may include links to sites of other Aon businesses that have applied privacy policies that are slightly different from this policy. Therefore, it is recommended to review the privacy policy of each website you visit.
Accessing Aon through Social Media
Customers can access the company via social media websites or through features such as plugins or applications of Aon's website integrated with social media sites. In this case, customers may choose to link their account to a third-party social media site. When a customer account accesses the company via a third-party social media site, plugin, or application, this allows Aon to access personal information (example: name, email address, photo, gender, birthday, posts made by the customer, and “liked” posts) from the customer's social media account.
Should the customer access the company's website through a social media site, plugin, or another application and posts information based on their privacy settings, that information may become publicly available on the internet. Customers can control the information they share through the privacy settings provided by some social media sites. For details on how to customize privacy settings and how third-party social media sites handle your individually identifiable information, please refer to the relevant privacy notices, privacy policy, and terms and conditions.
Company Website Access through Mobile Devices
When the customer accesses the company's website via mobile phone or mobile device, the company (with prior consent from the customer or regulatory approval pursuant to applicable laws) collects the device's operating system, service provider, and location information, along with the Unique Device Identifier (UDID) and IP address.
Before the customer provides their mobile phone number to the company, the company will request consent from the customer (pursuant to applicable laws) for the use of the mobile phone number as specified in this policy. If the customer chooses to receive notifications via mobile phone (example: text alerts), the company will also ask for consent for the use of the mobile phone number for that purpose, pursuant to applicable laws.
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2. For what purpose does Aon use personal information collected from customers?
The company uses collected personal information for the following purposes.
- When providing information and services at the customer’s request: At times the company manages, stores, and operates products, services, or related information that may include business reports, business management, customer satisfaction, statistics and data analysis, service claims, risk solutions, risk records, insurance broking, and reinsurance broking services.
- When determining and judging the eligibility of products and services, and when processing and approving procedures.
- When providing information and services at the request of corporate clients.
- When understanding and assessing the customer's continuous needs and providing products and services appropriate for those needs.
- When introducing the customer to another department within Aon or affiliated companies, regardless of the location or whether or not the company receives compensation.
- When fulfilling communication, service, billing, and management tasks with the customer.
- Claim management (example: defending, analyzing, investigating, processing, assessing, deciding, or responding to claims related to the customer).
- When performing data analysis.
- When conducting audits, reporting (including analysis and general information related to investments and markets), market research, or general service and online management.
- When obtaining and updating credit information from credit reporting bureaus or other appropriate third parties to evaluate and manage credit information.
- When occasionally checking customer related data held by the company in relation to the purposes outlined in this foreword.
- When executing monitoring and training.
- When designing, developing, and promoting new services and products for the customer.
- Marketing for products and services (only with consent from the information subject).
- When complying with current or future laws or requirements which the company deems necessary to protect its financial, commercial, business, or other legal interests in the region, or imposed by local or overseas regulatory and tax authorities.
- When determining if the customer is a U.S. citizen, a resident for U.S. federal income tax purposes, or subject to other U.S. taxation, and verifying if the customer’s account is subject to the U.S. Foreign Account Tax Compliance Act.
- When detecting and verifying money laundering, transaction restrictions, conflicts of interest, and preventing and tracking frauds and crimes (including information on political affiliations or criminal attacks).
- When conducting and monitoring credit evaluations to verify the customer's ongoing creditworthiness and cooperating with other institutions in conducting and monitoring credit evaluations.
- When enabling the company to evaluate transactions in which its rights or businesses are assigned, transferred, participation, sub-participation, or when proposing such transactions, and significant entities evaluate such business transactions.
- When processing tasks necessary to fulfill various contractual obligations to individuals.
In the event that the company intends to use personal information for other purposes, prior consent from the customer shall be obtained.
Aon does not process or store personal information of customers exceeding the period necessary to provide services or for achieving the purpose of collecting personal information. Should personal information of customers be kept pursuant to related laws, the company shall retain personal information for the following duration.
- Record of log-in and IP addresses, etc.: 3 months (Protection of Communications Secrets Act).
- Personal credit information essential for establishing and maintaining financial transactions or business relationships: Maximum 5 years from the end date of the business relationship (pursuant to the Credit Information Use and Protection Act).
- Commercial ledgers, key documents, and receipts related to the business: 10 years (key documents) and 5 years (receipts) (pursuant to the Commercial Act)
The company takes commercially viable and technically feasible measures to destroy personal information that is not retained, such as shredding personal information in hard copy form and permanently deleting personal information in soft copy form in a method that cannot be recovered.
In principle, the company handles personal information of the information subject within the scope of the purpose for which consent was obtained and does not handle it beyond that scope without prior consent from the subject. However, in the following cases, personal information may be handled without consent:
- When it is unavoidable due to special legal provisions or in compliance with legal obligations (Item 2, Clause 1, Article 15 of the Personal Information Protection Act).
- When it is necessary for the performance of a contract related to the provision of services (Item 4, Clause 1, Article 15 of the Personal Information Protection Act).
- When it is necessary for the legitimate interests of the handler of personal information (Item 6, Clause 1, Article 15 of the Personal Information Protection Act).
- When it is processed and used in a form that cannot identify an individual.
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3. Providing Personal Information to a Third Party
The company provides personal information of customers or company employees to third parties in the following cases. If necessary, consent from the information subject shall be obtained before providing such information.
Recipient |
Usage Purpose of the Recipient |
Personal Information Item Provided |
Retention and Usage Period of Recipient |
Insurance companies, reinsurance companies, insurance brokers |
Analysis and information necessary for services such as insurance brokerage |
General personal information (name, address, date of birth, contact number, gender, occupation, email address), information related to financial transaction information (insurance premium and payment transactions), credit transaction information (insurance contract information, information related to insurance payments), unique identification information (resident registration number, alien registration number, passport number, driver's license number) |
|
Public institutions (courts, prosecutors, police, National Tax Service, tax offices, Financial Services Commission, Financial Supervisory Service, Insurance Association, and other legally mandated organizations) |
Performing legally mandated tasks (including outsourced tasks) in accordance with laws such as the Act on the Establishment, etc. of the Financial Services Commission |
Financial Transaction Institutions: Account-opening financial institutions, Korea Federation of Banks, Korea Financial Telecommunications and Clearings Institute |
Financial Transaction Tasks |
From the date of consent to the provision of information is granted until the purpose is achieved |
Credit Information Reporting Bureau (Korea Credit Information Services) |
Centralized management and utilization of credit information by legally designated institutions |
Credit Information Bureau (NICE Information Service, Korea Credit Bureau, etc.) |
Utilized as data for assessing credit or as policy data for use by public institutions |
Credit transaction information (information related to financial transactions, insurance payment information, insurance contract information, etc.), creditworthiness information (income and asset information, credit rating, etc.), credit assessment information (information related to credit issues such as fraud, information on seizures and overdue payments) |
Financial institutions that handle group insurance (retirement pensions) such as insurance companies, securities companies, banks, etc. |
Enrollment of company employees in group insurance (including retirement pensions) |
General personal information (name, address, date of birth, contact number, gender, occupation, email address), unique identification information (resident registration number, alien registration number, passport number, driver's license number), date of employment, date of retirement benefit calculation, bank account number |
|
Ministry of Employment and Labor, National Pension Service, National Health Insurance Service, Korea Workers' Compensation & Welfare Service |
Fulfillment of obligations under relevant laws and regulations per institution |
General personal information (name, address, date of birth, contact number, gender, occupation, email address), unique identification information (resident registration number, alien registration number, passport number, driver's license number), information demanded by institutions pursuant to relevant laws |
|
Credit Card Companies (Hyundai Card) |
Issuance and cancellation of corporate credit cards for employees |
General personal information (name, address, date of birth, contact number, email address), bank account number |
|
The company does not provide personal information to third parties without the prior consent from the information subject. The company does not lend, sell, or disclose personal information of website visitors to third parties for marketing purposes with no business affiliations.
However, the company may provide personal information to third parties without the subject's consent in the following cases.
- When it is unavoidable due to special legal provisions or in compliance with legal obligations (Item 2, Clause 1, Article 15 of the Personal Information Protection Act).
- When it is unavoidable due to a public institution’s duties as mandated by laws and regulations.
- When it is necessary for the legitimate interests of the handler of personal information (Item 6, Clause 1, Article 15 of the Personal Information Protection Act).
4. Entrustment of Personal Information Handling
The company entrusts service providers (subcontractors) to handle tasks pursuant to the following. Subcontractors are contractually limited to handle personal information solely within the scope necessary for the purpose of execution of services and compliance with regulations.
Subcontractor |
Entrusted tasks |
KAYEN |
Consultation on various labor issues (employee payroll, leave, human resource management tasks) |
Kim & Chang Law Firm
Gwangjang Law Firm LLC, Pacific Law Firm LLC |
Legal consultation on business operations, human resource/labor matters, organizational management, and insurance brokerage |
Vistra Korea, Lee Sangdong Accounting Office |
Payroll management (income tax, tax settlement), year-end tax settlement, processing of national social insurance, etc. |
Training institutions (Insurance Training Institute, Korea Banking Institute, The Korean Society for New and Renewable Energy, Financial Security Institute) |
Contracted external training for employees |
Health checkup institutions (Kangbuk Samsung Hospital, CHA Hospital, KMI, etc.) |
Conduction of employee health checkups |
Iron Mountain |
Document storage and destruction |
Siksin |
Employee meal payment |
JustCo |
Office access management |
Tech & I |
Group insurance customer claim support system operation and maintenance |
Redcap Tour |
Airline ticket reservations for employee business trips |
Legislation and Business Transfers
The company discloses personal information of customers in the following cases:
- When required to disclose personal information by law or legal processes
- In response to requests from law enforcement agencies or government officials
- When Aon is involved in a merger or acquisition
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5. International Transfer of Personal Information
Aon may transfer, pursuant to applicable laws, personal information of customers overseas to Aon affiliates or to service providers located abroad.
Before the customer provides personal information to the company, the company shall request consent from the customer (pursuant to applicable laws) to collect, transfer overseas, store, and process the customer's personal information. The overseas transfer of personal information shall be pursuant to the Personal Information Protection Act, the European Standard Contractual Clauses, the U.S.-EU Safe Harbor Framework, or equivalent personal information transfer agreements, to ensure security and confidentiality. Specifics regarding the company's overseas transfer of personal information are as follows, and if customers do not wish for their personal information to be transferred overseas, they may refuse to grant consent to the collection and use of their personal information or request that the company cease the overseas transfer. Please note that in such cases, the company may be unable to provide some or all of its services to the customer.
Legal Basis |
Recipient |
Personal Information Items Transferred |
Country, Timing, and Method of Transfer |
Purpose of Use by the Recipient |
Retention and Usage Period of the Recipient |
Item 3, Clause 1, Article 8 of 28 of the Personal Information Protection Act (Entrustment for Contractual Fulfillment ・Retention) |
Microsoft Headquarters and affiliates/contact information |
General personal information (name, email address, postal address, telephone number) |
Locations / Transfer through network when using service |
Information retention and destruction |
Until the end of service |
Item 3, Clause 1, Article 8 of 28 of the Personal Information Protection Act (Entrustment for Contractual Fulfillment ・Retention) |
AWS (Amazon Web Service) Headquarters and affiliates contact information |
General personal information (name, email address, postal address, telephone number) |
Locations / Transfer through network when using service |
Business management system server hosting |
Until the end of service |
Item 3, Clause 1, Article 8 of 28 of the Personal Information Protection Act (Entrustment for Contractual Fulfillment ・Retention) |
Oracle Headquarters and affiliates
US 1-800-633-0738
Korea 080-2194-114 |
General personal information (name, email address, postal address, telephone number) |
Locations / Transfer through network when using service |
Business management system server hosting |
Until the end of service |
Item 3, Clause 1, Article 8 of 28 of the Personal Information Protection Act (Entrustment for Contractual Fulfillment ・Retention) |
Aon Australia contact information |
Name, email, telephone number, unique identification number, bank, bank account number, insurance accident summary (date of accident, details, etc.) |
Australia / Transfer through network when using service |
Insurance claim supper application personal information hosting |
Until the end of service |
Item 1, Clause 1, Article 8 of 28 of the Personal Information Protection Act (Consent
of information subject) |
Aon Headquarters and affiliates/contact information |
General personal information (name, email address, postal address, telephone number, and mobile number), employee human resource information |
Locations/
When inputting information into the system or transfer through network when using service |
- Management and storage of personal information of corporate client and manager for provision of services to corporate client
- Human resource information management and task support
- Back Office service/system, communication, IT solution, infrastructure support and management
- Continuity management during emergency (BCP), internal regulation compliance such as third-party risk assessment
|
Until the end of service |
Item 3, Clause 1, Article 8 of 28 of the Personal Information Protection Act (Entrustment
for Contractual Fulfillment ・Retention) |
LexisNexis
https://risk.lexisnexis.com/corporate/office-locations
contact Information 1.800.915.8930 |
General personal information (name, address, country) |
United States/transfer through information input into internet-based system
|
Discovery and prevention of related transaction restrictions such as AML, OFAC sanction screening, corruption prevention, and |
Until the end of service |
Item 3, Clause 1, Article 8 of 28 of the Personal Information Protection Act (Entrustment for Contractual Fulfillment ・Retention) |
Workday Inc. and affiliates/contact information |
Employee personal information (name, gender, address, contact information, email), personal photograph, position, marriage status, race, nationality, date of hire, emergency contact (name, relation, and contact number) |
Locations / Transfer through network when using service |
Maintenance and repair of human resource management system |
Until the end of service |
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In what ways can the customer or the customer’s legal representative exercise rights related to privacy?
Aon takes appropriate measures so that personal information of the customer is accurately and completely maintained. Customers may access their own personal information to update their information as shown below.
Profile
If the customer has created a profile or account on the company’s website, they can amend their personal information by logging into their account.
Newsletters
If the customer has requested electronic communications such as e-newsletters, they can unsubscribe at any time by following the instructions included in said materials.
Mobile Devices
If the customer has chosen to receive push notifications from the company on their mobile device but no longer wishes to receive them, they can manage their settings through their device or the application. Should the customer no longer wish to receive any information collected by the mobile application, they can delete the application using the removal process on their mobile device.
Cookies
As specified in the Cookie Notice, the customer can adjust their browser settings to accept or reject cookies.
Email
Please contact us via email or by using the postal address listed under “Company Contact” at the bottom of this policy. Please include your current contact information, relevant information, and changes. The company accesses the requested personal data within the legal limits and without infringing on the privacy of others./p>
The customer can request that the company cease handling their personal data, such as deletion or destruction, withdraw their consent to the collection, usage, or provision of personal information, and demand appropriate compensation for any harm caused by the handling of their personal information pursuant to applicable laws.
If the company denies the customer access, we will provide reasons for the denial and inform the customer of any exceptions.
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Does Aon take safety measures to protect the personal information of customers?
Aon implements appropriate physical, technical, and administrative safety standards to prevent the loss, misuse, alteration, or damage of personal information.
- Physical measures: Restrict access to computer rooms and data storage rooms.
- Technical measures: Access permission management for personal data processing systems, installation of access control systems, encryption of personal data, and installation and updating of security programs.
- Administrative measures: Development and implementation of internal management plans, operation of dedicated organizations, and regular employee training.
The company's service providers and agents are contractually obligated to maintain the confidentiality of personal information and are not permitted to use it for unauthorized purposes.
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Does Aon collect personal information of children?
The company website is not intended for children, and the company does not intentionally collect personal information from children through its website.
Company Contact Information
For questions regarding this policy, please contact us at the address below or consult with Aon Korea's Compliance Department or Compliance Officer of the same address.
Aon Korea Inc. 29th Floor, East Wing of the Center 1 Building, 26, Eulji-ro 5-gil, Jung-gu, Seoul, Korea
The company is responsible for overseeing personal information processing and has designated the following individual as the Personal Information Protection Officer to handle customer complaints and solutions related to personal information processing:
- Name: Eun Kyoung Jung
- Title: Compliance Officer / Department: Compliance
- Telephone: 02-2260-2750
Changes of the Policy
The company shall update this policy from time to time. It is recommended that the customer periodically review this policy to stay informed about the company's privacy protection measures. This policy was last updated on July 22, 2024.
Previous versions of the company’s privacy policy can be viewed below.
Applicable April 30, 2021 - July 21, 2024.
To view the Privacy Policy of each country, click here..
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