GDPR requires companies processing special categories of data and criminal offense data to always protect that data and to respect the rights of the data subjects. There is little known requirement defied in the Data Protection Act which requires companies to complete a very specific document to demonstrate compliance with these requirements. Failure to comply will mean you are in breach of GDPR and may face legal claims from data subjects and worst still, fines and enforcement action from Regulators.
Background:
The Data Protection Act 2018 (DPA 2018) outlines the requirement for an Appropriate Policy Document (APD) to be in place when processing special category (SC) and criminal offence (CO) data under certain specified conditions.
The Appropriate Policy Document (APD) have arisen under the auspices of Schedule 1 of the Data Protection Act 2018. Schedule 1, in fact, requires organizations to have an APD in place when there is processing of special category of data, as well as criminal offence data under certain conditions.
The UK GDPR underlines the special categories of data, such as:
In terms of Schedule 1 of the Data Protection Act 2018, the special categories (SC) of personal data and criminal offense (CO) data, are divided in number of parts [see below]:
Part 1 – Conditions relating to employment, health and research etc.
Within the above-mentioned conditions, the subparts of SC/CO data are divided into data that relates to:
Part 2 – Conditions relating to substantial public interest
Within the above-mentioned conditions, the subparts of SC/CO data are divided into data that relates to:
Part 3 – Additional conditions relating to criminal convictions
Within the above-mentioned conditions, the subparts of SC/CO data are divided into data that relates to:
Part 4 – Appropriate policy document and what does this mean for you?
Part 4 covers the Appropriate policy document requirements and the additional safeguards of applying an APD.
Within this segment, regarding the requirement to have an appropriate policy document in place, The controller has an appropriate policy document in place in relation to the processing of personal data in reliance on Part 1, 2 or 3 of the Schedule 1, if the controller has produced a document which:
In terms of the additional safeguards that are set out in this particular instance of processing SC/CO data, the ones that mentioned within the Schedule 1 relates to Retention of appropriate policy document and Record of processing.
Where personal data is processed in reliance on a condition described under Part 1, 2 or 3 of the Schedule 1, the controller must during the relevant period:
A record maintained by the controller, or the controller’s representative, under Article 30 of the GDPR in respect of the processing of personal data in reliance on a condition described under Part 1, 2 or 3 of the Schedule 1, must include the following information:
Back to first principles:
The foundational basis of the APD document relies under the fact the SC/CO data needs to be processed within the UK GDPR principles, as outlined in Article 5, which include: Lawfulness, fairness and transparency, Purpose limitation, Data minimization, Accuracy, Storage limitation, Integrity and confidentiality (security), and Accountability. Therefore, the document needs to contain the adequate information in terms of how the data that is processed is relatable to the previously mentioned principles of data protection.
Why is this important:
As we mention at the beginning, failure to comply will mean you are in breach of GDPR and may face legal claims from data subjects and worst still, fines and enforcement action from Regulators, however creating the APD is a relatively simple process and should become part of your standard approach to compliance. What’s more, this is a useful way of assessing the risk associated with processing this data and avoiding any further issues. Don’t delay – talk to your GDPRLocal Account Manager now.
How can we help?
In case you find your organization affected for implementing an Appropriate Policy Document or you feel concerned about the way your organization is processing special category (SC) and criminal offence (CO) data under certain specified conditions, talk to a GDPR Local account manager now, access a world of data protection advice here, or contact GDPRLocal at [email protected]