Accessibility
De Alba, architects and interior designers
Accessibility commitment
De Alba has committed to making its website accessible, in accordance with Royal Decree 1112/2018, of September 7, on accessibility of websites and applications for mobile devices.
This accessibility statement applies to the website https://dealba.eu/
Compliance status (choose option)
a) This website is fully compliant with RD 1112/2018.
b) This website is partially compliant with RD 1112/2018 due to [the exceptions] [and/or] [the lack of conformity of the aspect(s)] that are [indicated] below.
c) This website does not yet comply with RD 1112/2018. Next, [the exceptions] [and/or] [the non-conforming aspect/the non-conforming aspects] are [indicated/indicated].
Content not accessible
The content collected below is not accessible due to the following:
*This section can be deleted if not applicable.
In this section you must indicate the content that is not accessible, indicating the reason why it is not:
Lack of compliance with RD 1112/2018
Indicate any non-compliant aspects of the applicable websites and mobile applications and/or describe any content, section or functionality that is not yet compliant.
Likewise, it could be indicated whether work is being done on its resolution. The aspects that make the content not accessible should be described, avoiding the use of technicalities as far as possible, and references to the applicable requirements of the relevant standards or technical specifications that are not met should be indicated. For example: "On the portal there are contents in English whose language is not labeled correctly [requirement number 9.3.1.2 of UNE-EN 301549:2019]"
Disproportionate burden
Indicate any content, section or functionality with respect to which the application of the exception due to disproportionate load is invoked.
Recommendations for creating the European accessibility declaration model 9 In accordance with article 7 of RD 1112/2018, the specific obliged entity that wishes to benefit from the disproportionate burden exception must carry out an initial evaluation of the extent to which the Compliance with accessibility requirements imposes a disproportionate burden and must state this in writing through the corresponding report.
Subsequently, in the accessibility statement you must indicate the parts of the accessibility requirements that you cannot meet, and, where appropriate, offer accessible alternatives. Although it is not mandatory, it is recommended to include it in the section “2.7. Optional content”, a link to the report that contains the result of the disproportionate burden assessment, as indicated in this document later.
The content does not fall within the scope of applicable legislation
Indicate any non-accessible content, section or functionality that is outside the scope of applicable legislation. Article 3 of RD 1112/2018 includes the contents excluded from its scope of application; It is recommended to use terminology equivalent to that contained in said article.
Preparation for the next accessibility statement
This statement was prepared on June 23, 2023.
The method used to prepare the declaration has been a self-assessment carried out by the organization itself.
Observations and contact information.
You can make communications about accessibility requirements (article 10.2.a of RD 1112/2018) such as, for example:
Report any possible breach by this website.
Convey other content access difficulties.
Ask any other questions or suggestions for improvement regarding the accessibility of the website via email fernandodealba@dealba.com or via phone number +34 685 562 643
You can present:
Complaint regarding compliance with the requirements of RD 1112/2018 or
Request for accessible information related to:
Contents that are excluded from the scope of application of RD 1112/2018 as established by article 3, section 4.
Content that is exempt from compliance with accessibility requirements because it imposes a disproportionate burden.
In the Request for accessible information, the facts, reasons and request must be clearly specified that allow us to verify that it is a reasonable and legitimate request.
Complaints and claims about accessible information will be made through email fernandodealba@dealba.com that will be received and treated by De Alba.
Optional content
In relation to the evaluation report indicated in point 5 of the previous section, each entity will decide:
Whether you want to publish a report or not.
Recommendations for creating the European accessibility declaration model 17 given that it is optional, and in that case which evaluation report to link to. In accordance with Implementing Decision (EU) 2018/1523 there are no restrictions regarding the format or content of said report, therefore it could be an extract or reduced format of another more exhaustive report that exists internally such as the Report of Accessibility Review.
The Web Accessibility Observatory reports could be considered an extract or reduced format as long as they have been complemented internally by manual analysis and the rest of the requirements have been reviewed internally.
In relation to point 7) any other information in the previous section could be included
Specific help information for disabled people such as possible keyboard shortcuts, additional help tools such as text readers or tools that make specific adaptations for certain disabilities, recommendations for use in specific browsers, whether or not the interface is responsive.
Any other additional information such as whether an external audit has been carried out, whether there is any type of certification, who carried it out and its validity period, adding logos in accordance with WCAG, CSS, HTML, etc., in case of compliance. with said standards or recommendations.
If the entity has taken advantage of the disproportionate burden exception, it is recommended to link to the report that includes the result of the disproportionate burden evaluation.