Information on the processing of personal data and your rights under Turkish Law No. 6698 (KVKK).
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Last updated: October 6, 2026
Practice (registered name): Uzman Diş Hekimi Celal KEF Özel Ağız ve Diş Sağlığı Muayenehanesi Data controller / practice owner: Celal Kef Website: kefdentalclinic.com Registered practice / postal address: Çaybaşı Mah. Ali Çetinkaya Cad. Adem Apt. No:144/3, Muratpaşa/ANTALYA Telephone: 05059389448
An email or registered electronic mail (KEP) address has not been published on this website. Signed written data-protection requests can be delivered in person or by post to the practice address above. The telephone number is available for general enquiries.
Tax office / tax number: Kalekapı V.D / 5420879365 Taxpayer name: Uzman Diş Hekimi Celal Kef Muayenehanesi
1. Scope of this notice
This notice concerns the website and practice communications under Turkish Law No. 6698 (KVKK). The data controller and registered practice details are given above. Applicable additional data-protection rights are not excluded.
2. Data categories and collection
Data may be obtained through website forms, telephone, email if provided, in-person contact, patient records and other communication channels actually used. Depending on the service, categories include identity and contact information, communication records, appointment and payment information, security logs, health data and requested international-patient travel arrangements. The website contact form is for general enquiries, not medical documents.
3. Purposes and legal grounds
Purposes may include answering enquiries, arranging appointments, planning and providing care, patient follow-up, requested travel coordination, statutory records, security and handling legal requests. Each activity requires an applicable condition under Articles 5 or 6 of the KVKK. Health data requires the special-category conditions and safeguards. Where consent is needed it is obtained separately; this notice is not consent.
4. Recipients and transfers
Necessary and lawfully permitted recipients may include authorised staff, healthcare providers and laboratories, contracted technical providers, professional advisers and competent public authorities. Transfers abroad are subject to the relevant statutory conditions and safeguards. Actual providers and transfer arrangements must be assessed separately by the practice.
5. Retention
The website enquiry-record setting is 30 days, with expiry handled by the server retention task. Patient records and records subject to legal retention requirements are assessed separately; the website enquiry setting does not determine their retention.
6. Your rights and application
You may request information about whether and why your data is processed and its recipients; correction of inaccurate data; deletion or destruction where legal conditions are met; notification of these actions to recipients; objection to adverse results of exclusively automated analysis; and compensation for unlawful processing. Submit a signed written request identifying you and clearly stating your request to the postal address above. Other legally permitted methods remain available when their conditions are met.
Draft document — not approved for publication. The clinic must complete this text to reflect its actual identity, providers, processing purposes, retention periods and contact channels.

