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Data Protection
General Statement of the School's Duties
The School is required to process relevant personal data regarding
pupils and their parents and guardians as part of its operation
and shall take all reasonable steps to do so in accordance
with this Policy. Processing may include obtaining, recording,
holding, disclosing, destroying or otherwise using data. In
this Policy any reference to pupils includes current past
or prospective pupils.
Data Protection Controller
The School has appointed the Bursar as Data Protection Controller
(DPC) who will endeavour to ensure that all personal data
is processed in compliance with this Policy and the Principles
of the Data Protection Act 1998.
The Principles
The School shall so far as is reasonably practicable comply
with the Data Protection Principles ("the Principles")
contained in the Data Protection Act to ensure all
data is: -
Fairly and lawfully processed;
Processed for a lawful purpose;
Adequate, relevant and not excessive;
Accurate and up to date;
Not kept for longer than necessary;
Processed in accordance with the data subject's rights;
Secure
Not transferred to other countries without adequate
protection.
Personal Data
Personal data covers both facts and opinions about an individual.
The School may process a wide range of personal data of pupils,
their parents or guardians as part of its operation. This
personal data may include (but is not limited to); names and
addresses, bank details, academic, disciplinary, admissions
and attendance records, references, examination scripts and
marks.
Processing of Personal Data
Consent may be required for the processing of personal data
unless the processing is necessary for the School to undertake
its obligations to pupils and their parents or guardians.
Any information, which falls under the definition of personal
data, and is not otherwise exempt, will remain confidential
and will only by disclosed to third parties with the consent
of the appropriate individual or under the terms of this Policy.
Sensitive Personal Data
The School may, from time to time, be required to process
sensitive personal data regarding a pupil, their parents or
guardians. Sensitive personal data includes medical information
and data relating to religion, race, or criminal records and
proceedings. Where sensitive personal data is processed by
the School, the explicit consent of the appropriate individual
will generally be required in writing.
Rights of Access
Individuals have a right of access to information held by
the School. Any individual wishing to access their personal
data should put their request in writing to the DPC. The School
will endeavour to respond to any such written requests as
soon as is reasonably practicable and in any event, within
40 days for access to records and 21 days to provide a reply
to an access to information request.
Please note that the School may charge an administration fee
of up to £10 for providing this information.
You should be aware that certain data is exempt from the right
of access under the Data Protection Act this may include information,
which identifies other individuals, information, which the
School reasonably believes is likely to cause damage or distress,
or information, which is subject to legal professional privilege.
The School is also not required to disclose any pupil examination
scripts.
The School will also treat as confidential any reference given
by the School for the purpose of the education, training or
employment, or prospective education, training or employment
of any pupil. The School acknowledges that an individual may
have the right to access a reference relating to them received
by the School. However such a reference will only be disclosed
if such disclosure will not identify the source of the reference
or where, notwithstanding this, the referee has given their
consent or if disclosure is reasonable in all the circumstances.
Whose Rights?
The rights under the Data Protection Act are the individual's
to whom the data relates. The School will however in most
cases rely on parental consent to process data relating to
pupils unless, given the nature of the processing in question,
and the pupil's age and understanding, it is unreasonable
in all the circumstances to rely on the parent's consent.
Parents should be aware that in such situations they may not
be consulted.
The School will only grant the pupil direct access to their
personal data if in the School's reasonable belief the pupil
understands the nature of the request.
Pupils agree that the School may disclose their personal data
to their parents or guardian.
Where a pupil seeks to raise concerns confidentially with
a member of staff and expressly withholds their agreement
to their personal data being disclosed to their parents or
guardian, the School will maintain confidentiality unless
it has reasonable grounds to believe that the pupil does not
fully understand the consequences of withholding their consent,
or where the School believes disclosure will be in the best
interests of the pupil or other pupils.
Exemptions
Certain data is exempted from the provisions of the Data Protection
Act which includes the following:
The prevention or detection of crime;
The assessment of any tax or duty;
Where the processing is necessary to exercise a right
or obligation conferred or imposed by law upon the School.
The above are examples only of some of the exemptions under
the Act. Any further information on exemptions should be sought
from the DPC.
Disclosure of Information
The School may receive requests from third parties to disclose
personal data it holds about pupils, their parents or guardians.
The School confirms that it will not generally disclose information
unless the individual has given their consent or one of
the
specific exemptions under the Data Protection Act applies.
However the School does intend to disclose such data as
is
necessary to third parties for the following purposes:
To give a confidential reference relating to a pupil
to any educational institution which it is proposed that the
pupil may attend.
To give information relating to outstanding fees or
payment history to any educational institution which it is
proposed that the pupil may attend.
To publish the results of public examinations or other
achievements of pupils of the School.
To disclose details of a pupil's medical condition
where it is in the pupil's interests to do so, for example
for medical advice, insurance purposes or to organisers of
school trips.
Where the School receives a disclosure request from a third
party it will take reasonable steps to verify the identity
of that third party before making any disclosure.
Use of Personal Information by the School
The School will, from time to time, make use of personal
data relating to pupils, their parents or guardians in the
following
ways. Should you wish to limit or object to any such use
please notify the DPC in writing:
To make use of photographic images of pupils in School
publications and on the School website. However the School
will not publish photographs of individual pupils with their
names on the School website without the express agreement
of the appropriate individual.
For fundraising, marketing or promotional purposes
and to maintain relationships with pupils of the School, including
transferring information to any association society or club
set up for the purpose of establishing or maintaining contact
with pupils for fundraising, marketing or promotional purposes.
Accuracy
The School will endeavour to ensure that all personal data
held in relation to an individual is accurate. Individuals
must notify the DPC of any changes to information held about
them. An individual has the right to request that inaccurate
information about them is erased or corrected.
Security
The School will take reasonable steps to ensure that members
of staff will only have access to personal data relating to
pupils, their parents or guardians where it is necessary for
them to do so. All staff will be made aware of this policy
and their duties under the Data Protection Act. The School
will ensure that all personal information is held securely
and is not accessible to unauthorised persons.
Enforcement
If an individual believes that the School has not complied
with this Policy or acted otherwise than in accordance with
the Data Protection Act, they should utilise the School complaints
procedure and should also notify the DPC.
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