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Greater Toronto Hockey League

Greater Toronto Hockey League. The Implementation of PIPEDA and Amateur Sports – A Case Study. PIPEDA . P ersonal I nformation P rotection and E lectronic D ocuments A ct Applies to the collection, use, disclosure and security of personal information in the course of commercial activities

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Greater Toronto Hockey League

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  1. Greater Toronto Hockey League The Implementation of PIPEDA and Amateur Sports – A Case Study

  2. PIPEDA • Personal Information Protection and Electronic Documents Act • Applies to the collection, use, disclosure and security of personal information in the course of commercial activities • Personal information is any information about an identifiable individual

  3. PIPEDA • Requires consent for collection, use and disclosure of personal information • Consent can be Implied versus Expressed • Opt in v. Opt Out • The distinction between an obvious purpose and a secondary purpose

  4. Chief Privacy Officer Process to inventory/classify existing personal information Effective Policies and Practices Staff Training and Awareness on Privacy Retain consent provided on file Continuous process to keep information up to date/accurate Physical security safeguards over personal information Strong IT security and configuration (who can see or use) Process to communicate Privacy policies and practices Process to respond to Access requests/corrections/complaints Complaints review process – initiate changes to policies and practices Compliance/Monitoring process - internal or external What is needed by organizations

  5. GTHL – A Case Study – What We Did • GTHL Privacy Policy • Grass Roots Up Development • Consistent Policy–GTHL–OHF–Hockey Canada • Written so that GTHL Clubs/Associations can use in an easily adaptable form

  6. Chief Privacy Office • GTHL Executive Director and President • Jointly accountable to the Board of Directors for compliance • Responsible for the GTHL’s Compliance with PIPEDA privacy principles • Responsible for responding to access requests • Responsible for ensuring the GTHL is accountable for all personal information it it’s possession

  7. Inventory/Classy • Inventoried existing hard copy data • Inventoried electronic information • Classified what was needed • Classified purpose of collection • Archived and destroyed data that was not needed.

  8. Policies/Practices • Established GTHL Policy • Ensured Polices and Practices reflected both the legislation and GTHL Policy

  9. Training • “Internal procedures and employee education is as important as what the privacy policy says” • Trained Staff • Trained Volunteers • Informed GTHL Clubs and Membership

  10. Consent • Reviewed and revised all forms of personal information collection • Player Cards • Club Executive Forms • Tournament Forms • Statement of rationale for collection • Consent to distribute • Electronic tracking of consent

  11. Accurate Data • Established Process for the keeping of accurate data • Re-Registration • Application process for review • Application process for update

  12. Physical Security • IT Security Provisions were implemented including On-Line Registration and On-Line Financial Transactions • Necessary Server Protection • “Locked” Security Room was constructed to protect documents • Practices of Transferring data were reviewed (I.E. Couriers etc.)

  13. IT Security • Password Protection • E-Commerce Review to ensure compliance • Tiered Access to Information

  14. Communication • Web-site publication of policy • Other GTHL documents to participants

  15. Processes • Access Requests • Corrections • Complaints • Review

  16. Questions • ??????

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