Data Protection and General Privacy Notice

Ridgewell Village Hall Data Protection Policy 

Updated August 2020

Introduction 

We are committed to a policy of protecting the rights and privacy of individuals. We need to collect and use certain types of Data in order to carry on our work of managing Ridgewell Village Hall (RVH). This personal information must be collected and handled securely. 

 

The Data Protection Act 1998 (DPA) and General Data Protection Regulations (GDPR) govern the use of information about people (personal data). Personal data can be held on computers, laptops and mobile devices, or in a manual file, and includes email, minutes of meetings, and photographs. 

The charity will remain the data controller for the information held. The Sole Trustee, Management Committee, staff and volunteers are personally responsible for processing and using personal information in accordance with the Data Protection Act and GDPR. The Sole Trustee, Management Committee, staff and volunteers who have access to personal information will therefore be expected to read and comply with this policy. 

 

Purpose 

The purpose of this policy is to set out the RVH commitment and procedures for protecting personal data. The RVH Management Committee regard the lawful and correct treatment of personal information as very important to successful working, and to maintaining the confidence of those with whom we deal with. We recognise the risks to individuals of identity theft and financial loss if personal data is lost or stolen. 

 

The following are definitions of the terms used:

 

Data Controller - the RVH Management Committee who collectively decide what personal information RVH will hold and how it will be held or used. 

Act means the Data Protection Act 1998 and General Data Protection Regulations - the legislation that requires responsible behaviour by those using personal information.

Data Protection Officer – the person responsible for ensuring that RVH follows its data protection policy and complies with the Act. [RVH is not required to appoint a DPO].

Data Subject – the individual whose personal information is being held or processed by RVH for example a donor or hirer

‘Explicit’ consent – is a freely given, specific agreement by a Data Subject to the processing of personal information about her/him.

Explicit consent is needed for processing “sensitive data”, which includes:

(a) Racial or ethnic origin of the data subject

(b) Political opinions

(c) Religious beliefs or other beliefs of a similar nature

(d) Trade union membership

(e) Physical or mental health or condition

(f) Sexual orientation

(g) Criminal record

(h) Proceedings for any offence committed or alleged to have been committed

Information Commissioner’s Office (ICO) - the ICO is responsible for implementing and overseeing the Data Protection Act 1998.

Processing – means collecting, amending, handling, storing or disclosing personal information.

Personal Information – information about living individuals that enables them to be identified – e.g. names, addresses, telephone numbers and email addresses. It does not apply to information about organisations, companies and agencies but applies to named persons, such as individual volunteers.

 

The Data Protection Act 

This contains 8 principles for processing personal data with which we must comply.

 

Personal data: 

1. Shall be processed fairly and lawfully and, in particular, shall not be processed unless specific conditions are met,

2. Shall be obtained only for one or more of the purposes specified in the Act, and shall not be processed in any manner incompatible with that purpose or those purposes,

3. Shall be adequate, relevant and not excessive in relation to those purpose(s),

4. Shall be accurate and, where necessary, kept up to date,

5. Shall not be kept for longer than is necessary,

6. Shall be processed in accordance with the rights of data subjects under the Act,

7. Shall be kept secure by the Data Controller who takes appropriate technical and other measures to prevent unauthorised or unlawful processing or accidental loss or destruction of, or damage to, personal information,

8. Shall not be transferred to a country or territory outside the European Economic Area unless that country or territory ensures an adequate level of protection for the rights and freedoms of data subjects in relation to the processing of personal information.

 

Applying the Data Protection Act within the charity 

We will let people know why we are collecting their data, which is for the purpose of managing [the hall], its hirings and finances. It is our responsibility to ensure the data is only used for this purpose. Access to personal information will be limited to the Sole Trustee, Management Committee, staff and volunteers.

 

Correcting data 

Individuals have a right to make a Subject Access Request (SAR) to find out whether the charity holds their personal data, where, what it is used for and to have data corrected if it is wrong, to prevent use which is causing them damage or distress, or to stop marketing information being sent to them. Any SAR must be dealt with within 30 days. Steps must first be taken to confirm the identity of the individual before providing information, requiring both photo identification e.g. passport and confirmation of address e.g. recent utility bill, bank or credit card statement.

 

Responsibilities 

RVH is the Data Controller under the Act, and is legally responsible for complying with Act, which means that it determines what purposes personal information held will be used for.

The management committee will take into account legal requirements and ensure that it is properly implemented, and will through appropriate management, strict application of criteria and controls:

 

a) Collection and use information fairly.

b) Specify the purposes for which information is used.

c) Collect and process appropriate information, and only to the extent that it is needed to fulfil its operational needs or to comply with any legal requirements.

d) Ensure the quality of information used.

e) Ensure the rights of people about whom information is held, can be exercised under the Act. These include:

     i) The right to be informed that processing is undertaken.

     ii) The right of access to one’s personal information.

     iii) The right to prevent processing in certain circumstances, and

     iv) The right to correct, rectify, block or erase information which is regarded as wrong information.

f) Take appropriate technical and organisational security measures to safeguard personal information,

g) Ensure that personal information is not transferred abroad without suitable safeguards,

h) Treat people justly and fairly whatever their age, religion, disability, gender, sexual orientation or ethnicity when dealing with requests for information,

i) Set out clear procedures for responding to requests for information.

 The Sole Trustee, Management Committee, staff and volunteers are aware that a breach of the rules and procedures identified in this policy may lead to action being taken against them.

 

Procedures for Handling Data & Data Security 

RVH has a duty to ensure that appropriate technical and organisational measures and training are taken to prevent:

  • unauthorised or unlawful processing of personal data

  • unauthorised disclosure of personal data

  • accidental loss of personal data

The Sole Trustee, Management Committee, staff and volunteers must therefore ensure that personal data is dealt with properly no matter how it is collected, recorded or used. This applies whether or not the information is held on paper, in a computer or recorded by some other means e.g. tablet or mobile phone).

Personal data relates to data of living individuals who can be identified from that data and use of that data could cause an individual damage or distress. This does not mean that mentioning someone’s name in a document comprises personal data; however, combining various data elements such as a person’s name and salary or religious beliefs etc. would be classed as personal data, and falls within the scope of the DPA.

 

Privacy Notice and Consent Policy

The private notice and consent policy are as follows:

Consent forms if applicable, will be stored by the Secretary or Treasurer in a securely held electronic or paper file.

 

Data Storage 

Personal data will be stored securely and will only be accessible to authorised individuals.

Information will be stored for only as long as it is needed or required by statute and will be disposed of appropriately. For financial records this will be up to 7 years. For employee records see below. Archival material such as minutes and legal documents will be stored indefinitely. Other Correspondence and emails will be disposed of when no longer required or when trustees, staff or volunteers retire.

All personal data held for the organisation must be non-recoverable from any computer which has been passed on/sold to a third party.

 

Information Regarding Employees or Former Employees 

Information regarding an employee or a former employee, will be kept indefinitely. If something occurs years later it might be necessary to refer back to a job application or other document to check what was disclosed earlier, in order that trustees comply with their obligations eg regarding employment law, taxation, pensions or insurance.

 

Accident Book

This will be checked regularly. Any page which has been completed will be removed, appropriate action taken and the page filed securely.

 

Data Subject Access Requests 

We may occasionally need to share data with other agencies such as the local authority, funding bodies and other voluntary agencies in circumstances which are not in furtherance of the management of the charity. The circumstances where the law allows the charity to disclose data (including sensitive data) without the data subject’s consent are:

a) Carrying out a legal duty or as authorised by the Secretary of State Protecting vital interests of a Data Subject or other person (eg child protection)

b) The Data Subject has already made the information public

c) Conducting any legal proceedings, obtaining legal advice or defending any legal rights

d) Monitoring for equal opportunities purposes – i.e. race, disability or religion

We regard the lawful and correct treatment of personal information as very important to successful working, and to maintaining the confidence of those with whom we deal.

We intend to ensure that personal information is treated lawfully and correctly.

 

Risk Management 

The consequences of breaching Data Protection can cause harm or distress to service users if their information is released to inappropriate people, or they could be denied a service to which they are entitled. Trustees, staff and volunteers should be aware that they can be personally liable if they use customers’ personal data inappropriately. This policy is designed to minimise the risks and to ensure that the reputation of the charity is not damaged through inappropriate or unauthorised access and sharing. 

GDPR Audit

Type of Data Held

Where data was obtained from

Purpose of holding

Where it will be shared

Electronic or hardcopy

Email addresses of individual residents in the village

From the individuals themselves

Communication and administration

All correspondence goes out blind copied unless people need to be able to reply to one another (i.e. in emails)

Both

VHMC email addresses and postal addresses

Committee members

Communication and administration

With other committee members and volunteers as necessary

Both

 

Names of residents in historical minutes

Committee meetings

Public record

Public record

Both

 

Email addresses, postal addresses, banking information for hall users and events

Hall user booking forms, emails, other forms required for events such as Fete etc

Communication and administration

With other committee members, employees, volunteers and the bank as necessary

Both

Email addresses, postal addresses, banking information for 200 Club

From the individuals themselves on their 200 Club form

Communication and administration of the lottery

200 club administrators and the bank

Both