THE FEIL & CO.*
PRIVACY CODE
Table
of Contents
Introduction
Summary
of Principles
Scope and
Application
Definitions
The FEIL
& CO.* Privacy Code in Detail
Principle 1 -
Accountability
Principle 2 -
Identifying Purposes for Collection of Personal Information
Principle 3 -
Obtaining Consent for Collection, Use or Disclosure of Personal Information
Principle 4 -
Limiting Collection of Personal Information
Principle 5 -
Limiting Use, Disclosure, and Retention of Personal Information
Principle 6 -
Accuracy of Personal Information
Principle 7 -
Security Safeguards
Principle 8 -
Openness Concerning Policies and Procedures
Principle 9 -
Client and Employee Access to Personal Information
Principle 10
- Challenging Compliance
Additional
Information
Introduction
At FEIL & CO.*, respecting
privacy is an important part of our commitment to our clients and employees. That is why we have developed The FEIL &
CO.* Privacy Code. The FEIL & CO.*
Privacy Code is a statement of principles and guidelines regarding the minimum
requirements for the protection of personal information provided by FEIL &
CO.* to its clients and employees. The
objective of The FEIL & CO.* Privacy Code is to promote responsible and
transparent personal information management practices in a manner consistent
with the provisions of the Personal
Information Protection Act (British
Columbia), and the Personal Information Protection
and Electronic Documents Act (Canada).
FEIL & CO.* will continue to
review The FEIL & CO.* Privacy Code to make sure that it is relevant and
remains current with changing industry standards, technologies and laws.
Summary of Principles
Principle 1 - Accountability
FEIL & CO.* is responsible
for personal information under its control and shall designate one or more
persons who are accountable for FEIL & CO.’s* compliance with the following
principles.
Principle 2 - Identifying
Purposes for Collection of Personal Information
FEIL & CO.* shall identify
the purposes for which personal information is collected at or before the time
the information is collected.
Principle 3 - Obtaining
Consent for Collection, Use or Disclosure of Personal Information
The knowledge and consent of a
client or employee are required for the collection, use, or disclosure of
personal information, except where inappropriate.
Principle 4 - Limiting
Collection of Personal Information
FEIL & CO.* shall limit the
collection of personal information to that which is necessary for the purposes
identified by FEIL & CO.*. FEIL &
CO.* shall collect personal information by fair and lawful means.
Principle 5 - Limiting Use,
Disclosure, and Retention of Personal Information
FEIL & CO.* shall not use or
disclose personal information for purposes other than those for which it was
collected, except with the consent of the individual or as required by law.
Principle 6 - Accuracy of
Personal Information
Personal information shall be
as accurate, complete, and up to date as is necessary for the purposes for
which it is to be used.
Principle 7 - Security
Safeguards
FEIL & CO.* shall protect
personal information by security safeguards appropriate to the sensitivity of
the information.
Principle 8 - Openness
Concerning Policies and Procedures
FEIL & CO.* shall make
readily available to clients and employees specific information about its
policies and procedures relating to the management of personal information.
Principle 9 – Client and
Employee Access to Personal Information
FEIL & CO.* shall inform a
client or employee of the existence, use, and disclosure of his or her personal
information upon request and shall give the individual access to that
information. A client or employee shall
be able to challenge the accuracy and completeness of the information and have
it amended as appropriate.
Principle 10 - Challenging
Compliance
A client or employee shall be
able to address a challenge concerning compliance with the above principles to
the designated person or persons accountable for FEIL & CO.’s* compliance
with The FEIL & CO.* Privacy Code.
Scope and Application
The ten principles that form
the basis of The FEIL & CO.* Privacy Code are interrelated and FEIL & CO.*
shall adhere to the ten principles as a whole.
Each principle must be read in conjunction with the accompanying
commentary. As permitted by the Personal
Information Protection Act (British
Columbia), and the Personal Information Protection
and Electronic Documents Act (Canada), the commentary in The FEIL
& CO.* Privacy Code has been drafted to reflect personal information issues
specific to FEIL & CO.*.
The scope and application of
The FEIL & CO.* Privacy Code are as follows:
- The FEIL & CO.*
Privacy Code applies to personal information collected, used, or disclosed by
FEIL & CO.* in the course of commercial activities.
- The FEIL & CO.*
Privacy Code applies to the management of personal information in any form,
whether oral, electronic or written.
- The FEIL & CO.*
Privacy Code does not impose any limits on the collection, use or disclosure of
the following information by FEIL & CO.*:
(a) an employee’s name, title
or business address or telephone number;
(b) information that FEIL
& CO.* collects, uses or discloses for journalistic, artistic or literary
purposes and does not collect, use or disclose for any other purpose; or
(c) other information about
the individual that is publicly available and is specified by regulation
pursuant to the Personal Information Protection Act (British Columbia),
and the Personal Information Protection and Electronic Documents Act
(Canada).
- The FEIL & CO.*
Privacy Code will not typically apply to information regarding FEIL & CO.’s*
corporate clients. However, such information
may be protected by other FEIL & CO.* policies and practices and through
contractual arrangements.
- The application of The
FEIL & CO.* Privacy Code is subject to the requirements and provisions of
the Personal Information Protection Act (British Columbia), and the Personal
Information Protection and Electronic Documents Act (Canada), the
regulations enacted thereunder, and any other applicable legislation or
regulation.
Definitions
collection: The act of gathering, acquiring, recording,
or obtaining personal information from any source, including third parties, by
any means.
consent: Voluntary agreement for the collection, use
and disclosure of personal information for defined purposes. Consent can be either express or implied and
can be provided directly by the individual or by an authorized
representative. Express consent can be
given orally, electronically or in writing, but is always unequivocal and does
not require any inference on the part of FEIL & CO.*. Implied consent is consent that can reasonably
be inferred from an individual’s action or inaction.
client: An individual who purchases or otherwise
acquires or uses any of FEIL & CO.’s* products or services or otherwise
provides personal information to FEIL & CO.* in the course of FEIL & CO.’s*
commercial activities.
disclosure: Making personal information available to a
third party.
employee: An employee of or independent contractor to
FEIL & CO.*.
personal information: Information about an identifiable individual,
but does not include the name, title, business address or telephone number of
an employee of an organization.
FEIL & CO.*: Denotes operating name of the professional corporation Leslie Feil, C.G.A.,
Ltd.
third party: An
individual or organization outside of FEIL & CO.*.
use: The treatment,
handling, and management of personal information by and within FEIL & CO.*
or by a third party with the knowledge and approval of FEIL & CO.*.
The FEIL & CO.* Privacy Code in Detail
Principle
1 - Accountability
FEIL & CO.* is
responsible for personal information under its control and shall designate one
or more persons who are accountable for FEIL & CO.’s* compliance with the
following principles.
1.1 Responsibility for
compliance with the provisions of The FEIL & CO.* Privacy Code rests with
the FEIL & CO.* Privacy Officer who can be reached at 1-250-382-6177 or via
email@feilnco.com. Other individuals within FEIL & CO.* may
be delegated to act on behalf of The FEIL & CO.* Privacy Officer or to take
responsibility for the day-to-day collection and/or processing of personal
information.
1.2 FEIL & CO.* shall make
known, upon request, the title of the person or persons designated to oversee
FEIL & CO.’s* compliance with The FEIL & CO.* Privacy Code.
1.3 FEIL & CO.* is
responsible for personal information in its possession or control. FEIL & CO.* shall use contractual or other
means to provide a comparable level of protection while information is being
processed or used by a third party.
1.4 FEIL & CO.* shall
implement policies and procedures to give effect to The FEIL & CO.* Privacy
Code, including:
(a) implementing procedures
to protect personal information and to oversee FEIL & CO.’s* compliance with
The FEIL & CO.* Privacy Code;
(b) implementing procedures
to receive and respond to complaints or inquiries;
(c) training and
communicating to staff about FEIL & CO.’s* policies and procedures; and
(d) developing information
materials to explain FEIL & CO.’s* policies and procedures.
Principle
2 - Identifying Purposes for Collection of Personal Information
FEIL & CO.* shall
identify the purposes for which personal information is collected at or before
the time the information is collected.
2.1 FEIL & CO.* will
collect, use or disclose personal information only to provide professional
services to you. Each engagement letter includes an explanation of why we
require information, what use will be made of it and with whom it may be shared
in order to provide our professional services.
Your personal
information may be disclosed internally and with other contracted professionals
for the purpose of determining compliance with applicable professional
standards, FEIL & CO.* internal policies, or in the performance of quality
reviews. Personal Information may also be shared internally in order to allow
us to offer services or products that may be of interest to you.
Further reference to
“identified purposes” mean the purposes identified in this Principle.
2.2 FEIL & CO.* shall
specify orally, electronically or in writing the identified purposes to the
client or employee at or before the time personal information is
collected. Upon request, persons
collecting personal information shall explain these identified purposes or
refer the individual to a designated person within FEIL & CO.* who can
explain the purposes.
2.3 When personal information
that has been collected is to be used or disclosed for a purpose not previously
identified, the new purpose shall be identified prior to use. Unless the new purpose is permitted or
required by law, the consent of the client or employee will be acquired before
the information will be used or disclosed for the new purpose.
Principle 3 - Obtaining Consent for Collection, Use or
Disclosure of Personal Information
The knowledge and consent
of a client or employee are required for the collection, use, or disclosure of
personal information, except where inappropriate. In certain circumstances personal information
can be collected, used, or disclosed without the knowledge and consent of the
individual.
3.1 In obtaining consent, FEIL
& CO.* shall use reasonable efforts to ensure that a client or employee is
advised of the identified purposes for which personal information will be used
or disclosed. The identified purposes
shall be stated in a manner that can be reasonably understood by the client or
employee.
3.2 Generally, FEIL & CO.*
shall seek consent to use and disclose personal information at the same time it
collects the information. However, FEIL
& CO.* may seek consent to use and/or disclose personal information after it
has been collected, but before it is used and/or disclosed for a new purpose.
3.3 FEIL & CO.* may require
clients to consent to the collection, use and/or disclosure of personal
information as a condition of the supply of a product or service only if such
collection, use and/or disclosure is required to fulfill the explicitly
specified, and legitimate identified purposes.
3.4 In determining the
appropriate form of consent, FEIL & CO.* shall take into account the
sensitivity of the personal information and the reasonable expectations of its
clients and employees.
3.5 The purchase or use of
products and services by a client, or the acceptance of employment or benefits
by an employee, may constitute implied consent for FEIL & CO.* to collect,
use and disclose personal information for the identified purposes.
3.6 A client or employee may
withdraw consent at any time, subject to legal or contractual restrictions and
reasonable notice. clients and employees
may contact FEIL & CO.* for more information regarding the implications of
withdrawing consent.
3.7 FEIL & CO.* may collect
or use personal information without knowledge or consent if it is clearly in
the interests of the individual and consent cannot be obtained in a timely way,
such as when the individual is seriously ill or mentally incapacitated.
3.8 FEIL & CO.* may
collect, use or disclose personal information without knowledge or consent if
seeking the consent of the individual might defeat the purpose of collecting,
using or disclosing the information, such as in the investigation of a breach
of an agreement or a contravention of a law.
3.9 FEIL & CO.* may
collect, use or disclose personal information without knowledge or consent in
the case of an emergency where the life, health or security of an individual is
threatened.
3.10 FEIL & CO.* may use or
disclose personal information without knowledge or consent to a lawyer
representing FEIL & CO.*, to collect a debt, to comply with a subpoena,
warrant or other court order, or as may be otherwise required or authorized by
law.
Principle
4 - Limiting Collection of Personal Information
FEIL & CO.* shall
limit the collection of personal information to that which is necessary for the
purposes identified by FEIL & CO.*. FEIL
& CO.* shall collect personal information by fair and lawful means.
4.1 FEIL & CO.* collects
personal information primarily from its clients or employees.
4.2 FEIL & CO.* may also
collect personal information from other sources including credit bureaus,
employers or personal references, or other third parties who represent that
they have the right to disclose the information.
Principle
5 - Limiting Use, Disclosure, and Retention of Personal Information
FEIL & CO.* shall not
use or disclose personal information for purposes other than those for which it
was collected, except with the consent of the individual or as required or
permitted by law. FEIL & CO.* shall
retain personal information only as long as necessary for the fulfillment of
those purposes.
5.1
FEIL & CO.* will obtain a client or employee’s
consent prior to using their personal information for a purpose not previously
identified to them.
However, we may
use personal information without consent where for the purpose of acting in
respect of an emergency that threatens the life, health or security of an
individual. We may also disclose personal information without consent:
·
to comply with a subpoena, a warrant or an order
made by a court or other body with appropriate jurisdiction or to comply with
rules of conduct required by regulatory bodies
·
to a government institution that has requested
the information, identified its lawful authority, and indicates that disclosure
is for the purpose of enforcing, carrying out an investigation, or gathering
intelligence relating to any federal, provincial or foreign law; or suspects
that the information relates to national security or the conduct of
international affairs; or is for the purpose of administering any federal or
provincial law.
·
to an investigative body or government
institution on our initiative when we believe the information concerns a breach
of an agreement, or a contravention of a federal, provincial, or foreign law,
or we suspect the information relates to national security or the conduct of
international affairs
5.2 Only FEIL & CO.’s* employees with a business need-to-know, or whose
duties reasonably so require, are granted access to personal information about
clients and employees.
5.3 FEIL & CO.* shall keep
personal information only as long as it remains necessary or relevant for the
identified purposes or as required by law.
Depending on the circumstances, where personal information has been used
to make a decision about a client or employee, FEIL & CO.* shall retain, for
a period of time that is reasonably sufficient to allow for access by the
client or employee, either the actual information or the rationale for making
the decision.
5.4 FEIL & CO.* shall
maintain reasonable and systematic controls, schedules and practices for
information and records retention and destruction which apply to personal
information that is no longer necessary or relevant for the identified purposes
or required by law to be retained. Such
information shall be destroyed, erased or made anonymous.
Principle
6 - Accuracy of Personal Information
Personal information
shall be as accurate, complete, and up-to-date as is necessary for the purposes
for which it is to be used.
6.1 Personal information used
by FEIL & CO.* shall be sufficiently accurate, complete, and up-to-date to
minimize the possibility that inappropriate information may be used to make a
decision about a client or employee.
6.2 FEIL & CO.* shall
update personal information about clients and employees as necessary to fulfill
the identified purposes or upon notification by the individual.
Principle
7 - Security Safeguards
FEIL & CO.* shall
protect personal information by security safeguards appropriate to the
sensitivity of the information.
7.1 FEIL & CO.* shall
protect personal information against such risks as loss or theft, unauthorized
access, disclosure, copying, use, modification or destruction, through
appropriate security measures, regardless of the format in which it is held.
7.2 FEIL & CO.* shall
protect personal information disclosed to third parties by contractual
agreements stipulating the confidentiality of the information and the purposes
for which it is to be used.
7.3 All of FEIL & CO.’s*
employees with access to personal information shall be required to respect the
confidentiality of that information.
Principle
8 - Openness Concerning Policies and Procedures
FEIL & CO.* shall make
readily available to clients and employees specific information about its
policies and procedures relating to the management of personal information.
8.1 FEIL & CO.* shall make
information about its policies and procedures easy to understand, including:
(a) the title and address of
the person or persons accountable for FEIL & CO.’s* compliance with The FEIL
& CO.* Privacy Code and to whom inquiries and/or complaints can be
forwarded;
(b) the means of gaining
access to personal information held by FEIL & CO.*;
(c) a description of the type
of personal information held by FEIL & CO.*, including a general account of
its use; and
(d) a description of what
personal information is made available to related organizations (e.g.,
subsidiaries).
8.2 FEIL & CO.* shall make
available information to help clients and employees exercise control of the
collection, use and/or disclosure of their personal information and, where
applicable, privacy-enhancing services available from FEIL & CO.*.
Principle
9 - client and Employee Access to Personal Information
Upon request, FEIL &
CO.* shall inform a client or employee of the existence, use, and disclosure of
his or her personal information and shall give the individual access to that
information. A client or employee shall
be able to challenge the accuracy and completeness of the information and have
it amended as appropriate.
9.1 Upon request, FEIL &
CO.* shall afford clients and employees a reasonable opportunity to review the
personal information in the individual’s file.
Personal information shall be provided in understandable form within a
reasonable time, and at minimal or no cost to the individual.
9.2 In certain situations,
FEIL & CO.* may not be able to provide access to all the personal
information that it holds about a client or employee. For example, FEIL & CO.* may not provide
access to information if doing so would likely reveal personal information
about a third party or could reasonably be expected to threaten the life or
security of another individual. Also,
FEIL & CO.* may not provide access to information if disclosure would reveal
confidential commercial information, if the information is protected by
solicitor-client privilege, if the information was generated in the course of a
formal dispute resolution process, or if the information was collected in
relation to the investigation of a breach of an agreement or a contravention of
the laws of Canada or a province.
9.3 Upon request, FEIL &
CO.* shall provide an account of the use and disclosure of personal information
and, where reasonably possible, shall state the source of the information. In providing an account of disclosure, FEIL
& CO.* shall provide a list of third parties to which it may have disclosed
personal information about the individual when it is not possible to provide an
actual list.
9.4 In order to safeguard
personal information, a client or employee may be required to provide
sufficient identification information to permit FEIL & CO.* to account for
the existence, use and disclosure of personal information and to authorize
access to the individual’s file. Any
such information shall be used only for this purpose.
9.5 FEIL & CO.* shall
promptly correct or complete any personal information found to be inaccurate or
incomplete. Any unresolved differences
as to accuracy or completeness shall be noted in the individual’s file. Where appropriate, FEIL & CO.* shall transmit
to third parties having access to the personal information in question any amended
information or the existence of any unresolved differences.
9.6 clients and employees can
obtain information or seek access to their individual files by contacting the
FEIL & CO.* Privacy Officer.
Principle
10 - Challenging Compliance
A client or employee
shall be able to address a challenge concerning compliance with the above
principles to the designated person or persons accountable for FEIL & CO.’s*
compliance with The FEIL & CO.* Privacy Code.
10.1 FEIL & CO.* shall
maintain procedures for addressing and responding to all inquiries or
complaints from its clients and employees regarding FEIL & CO.’s* handling
of personal information.
10.2 FEIL & CO.* shall inform
its clients and employees about the existence of these procedures as well as
the availability of complaint procedures.
10.3 The person or persons
accountable for compliance with The FEIL & CO.* Privacy Code may seek
external advice where appropriate before providing a final response to
individual complaints.
10.4 FEIL & CO.* shall
investigate all complaints concerning compliance with The FEIL & CO.*
Privacy Code. If a complaint is found to
be justified, FEIL & CO.* shall take appropriate measures to resolve the
complaint including, if necessary, amending its policies and procedures. A client or employee shall be informed of the
outcome of the investigation regarding his or her complaint.
Additional
Information
For more information regarding
The FEIL & CO.* Privacy Code, please contact the FEIL & CO.* Privacy
Officer at 1-250-382-6177 or via email@feilnco.com
.
Please visit the Privacy
Commissioner of Canada’s
web site at www.privcom.gc.ca.