This upgrade consists in the integration of some functional controls of the blow-molding process.
The kit includes some new control systems, in order to improve the blow-molder performance, and a new software version for the new functionality.
The first control is the Preform release lower control (Picture 2A); by means of a proximity sensor and a mechanical device (Picture 2B), this control detects the preforms not correctly transferred by the infeed star, thus preventing them from entering the blowing station, which would cause a stop in emergency due to a wrong delivery of the preform into the mold.
The other control is the preform release upper control, which checks the correct positioning of products onto the preform star, thus detecting any product badly positioned onto the star which would cause errors in the mold-holder/bolt closing due to wrong picking by the preform grippers.
This check is possible thanks to a photocell (Fig. 3A and 3B) installed on a mechanical support; when this photocell detects a preform in wrong position, the preform will be rejected before entering the blowing station.
The last control included in the kit does not check the product during the working phases, but is aimed at protecting the oven chain duration, by monitoring its physiological stretching.
The new system features a software, equipped with the sensor represented in Pictures 4A and 4B, which detects the deviation of the preform release mandril from the optimal position and corrects this deviation by slightly varying the driving motor position. This is an important innovation, because it reduces the chain maintenance costs.
Minimum requirements: - Posyc 3000. If it is not installed, ask for ZF010012 - Posyc and Marts upgraded to new System 3000
- Optimized management of the machine working phases - Components longer life - Better performance
The European Regulation 679/2016 (GDPR) on the protection of personal data has been fully applicable since May 25th, 2018. This is an important goal, because it lays down rules relating to the processing of personal data for all Countries within the Union. Every company of the SMI Group planned a series of activities, assets or operational modes to comply with the regulation and put into practice the protection of personal data. Here is a list of actions taken to comply with the European Regulation and our policy on personal data processing.
Lawfulness of processing All activities relating to personal data processing shall be lawful (consent, contract obligations, vital interests of the data subject or of third parties, compliance with legal obligations to which the controller is subject, public interest or exercise of official authority, legitimate interest pursued by the controller or by third parties).
Information document The information statement has been improved and updated to the new regulations (art. 13 and 14 GDPR).
Rights of the data subjects (right of access, right to erasure-right to be forgotten, right to restriction of processing, right to object, right to data portability) Technical and organization measures have been adopted to ensure the data subject's exercise of his rights and to meet the data subject requirements.
Controllers, processors Based on the new principle of “accountability”, SMI Group organization was re-defined, in order to proactively ensure integral compliance with the Regulation. Redefinition of the role of data processors and service suppliers whose activity implies personal data processing.
Risk of data processing; accountability measures taken by controllers and processors (Impact assessment, record of processing activities, security of processing, data breach) The “Conformity document”, including records of data processing activity, plans, adopts and demonstrates all technical and organizational measures taken to adequately perform the data processing activities and specifies the necessary procedures to be adopted to notify data breach.
Transfer of personal data to international organizations Smi Group adheres to the general principles and guarantees concerning the transfer of personal data to third Countries.
The Controller is: SMI S.p.A. Head office: Via Carlo Ceresa, 10 - 24015 San Giovanni Bianco (BG) - ITALIA VAT nr: IT03942700166 - R.E.A. 421708 For further information, write to: email@example.com
According to the European Regulation 679/2016, the data subject is entitled to exercise the rights set forth in the Regulation. The integral version of art. 15; 16; 17; 18; 20; 21; 77 of the European Regulation is attached to this document.
SMI S.p.A. Sede amministrativa: Via Carlo Ceresa, 10 - 24015 San Giovanni Bianco (BG) - ITALIA Sede legale: Via Monte Grappa, 7 - 24121 Bergamo (BG) - ITALIA C.F. e P. IVA IT03942700166 - R.E.A. 421708 Capitale Sociale Euro 5.000.000 i.v.