This Privacy Policy has been compiled by Bakers Garden Buildings Ltd to comply with the General Data Protection Regulations [GDPR] 2018. The purpose of this policy is to inform the individual the means of collection of their personal data, including the security of that data; the means of processing that data; how long it is kept for; our obligations; and the rights of the Data Subject [the individual] under the GDPR.
Within our firm are two nominated individuals responsible for data under the GDPR. The roles undertaken are twofold, namely; The Data Controller and the Data Processor.
A Controller determines the purposes and means of processing personal data and a Processor is responsible for processing personal data on behalf of a controller.
As of 25th May 2018 the relevant persons within our organisation are:
Data controller: Martin Baker, Managing Director, Bakers Garden Buildings Ltd, units 28-29 Bolney Grange Business Park, Stairbridge Lane, Bolney, Haywards Heath RH17 5PB
Data Processor: Martin Baker, Managing Director, Bakers Garden Buildings Ltd, units 28-29 Bolney Grange Business Park, Stairbridge Lane, Bolney, Haywards Heath RH17 5PB
To control and process data requires one of six recognised legal bases under GDPR to do so. The six bases are as follows:
In order to rely on a 'legitimate interest' basis we undertake a three-part test which must be satisfied:
Furthermore under the GDPR the Data Subject [individual] has a number of rights [seven] regarding the collection and processing of their data. For the purposes of the GDPR Data is identified under two categories:
The seven rights of the Data subject are:
In addition a Data Subject has the right to make a complaint to the Information Commissioner's Office [ICO] on-line, by phone or in writing at the following:
https://ico.org.uk/concerns/
T: 0303 123 1113;
Information Commissioner's Office, Wycliffe house, Water Lane, Wilmslow, Cheshire. SK9 5AF.
The following table identifies the types of data we collect, control and process; and the legal basis we rely upon for doing so:
Type of information collected > Purpose[s] Legal basis for processing
Data Subject's name, address, telephone numbers, e-mail address(es) > Managing the Data Subject's relationship with the firm. Performing the Firm's contract with the Data Subject.
Data Subject's name and email address. Mail shot and marketing purposes > Legitimate interest. The Data Subject may object at any time and will be informed accordingly.
Bank account details or payment details > To pay, be paid, or to refund monies. To fulfil the contract between the Firm and the Data Subject.
Data subject's name, address, email, next of kin > To perform HR functions within organisation. Contract with employee.
Data subjects name, address, bank details > Maintain records for tax & NI purposes Legal obligation.
We will only retain personal data for as long as necessary to fulfil the purposes we collected it for, including for the purposes of satisfying any legal, accounting, or reporting requirements.
To determine the appropriate retention period for personal data, we consider the amount, nature, and the Data subject's data, the purposes for which we process the data and whether we can achieve those purposes through other means, and the applicable legal requirements.
Nevertheless by law we have to keep basic information about our customers (including Contact, Identity, Financial and Transaction Data) for [six] years after they cease being customers for [tax] purposes.]
In some circumstances we may anonymise the Data Subject's date (so that it can no longer be associated with them) for research or statistical purposes in which case we may use this information indefinitely without further notice to the Data subject.
The Data Subject's data will not be transferred outside the European Economic Area [EEA] without the explicit consent of the Data Subject;
The Firm has in place general recognised standards of technology including operational security including, but not limited to, data encryption thereby enabling the protection of relevant data from misuse, loss, damage, alteration, destruction or unauthorised access.
Any receipt or transfer of funds will be via recognised secure payment systems. The firm will securely destroy any financial information once used and longer needed other than required by law.
The firm's website will adhere to SSL encryption protocols.
Any breach of data which may pose a serious risk will be notified to the Data Subject without delay.
The Firm will not sell, pass on or contract with third parties Data Subject's data without prior written [withdrawable] consent other than where required to by law; or otherwise provided for in the above table; or as follows:
A Data subject's data may be passed to third parties which are under contract with the Firm to provide services to the Data Subject on the firm's behalf. In such an event the data shared is only that necessary to fulfil the service requirement under the terms of the contract with the Firm. Within such a contract an express condition will be that the third party keep any data secure and not to use in any other way, such data, for their own or other parties purposes.
The Firm will retain the Data Subject information for as long as necessary under the legal bases as identified in the table above or to comply with any legal obligation on the Firm's part. The firm will re view annually the data it holds to establish whether it continues to have the right to process it. Should such a right fail to continue to apply the Firm will cease from processing such data. Data may be retained thereafter in order to comply with any legal obligations which may arise.
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A primary purpose of a cookie is to inform a web server that user has returned to a specific page on a web site. For example if a user personalises our Web page or registers with our website or services a cookie will enable us to recall specific personal data such as billing and delivery addresses. On a user's return to our site the data previously provided can be retrieved thereby facilitating our services and features previously customised. The control and processing of any such data will be undertaken in line with the General Data Protection Regulation [GDPR] 2018.
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For further information, please address any questions or comments concerning this privacy policy to:
Martin Baker, Managing Director, Bakers Garden Buildings Ltd, units 28-29 Bolney Grange Business Park, Stairbridge Lane, Bolney, Haywards Heath RH17 5PB
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