Information to be shared. The Agreement concerns the following personal and/or sensitive information which needs to be shared for the purposes outlined in section 2. • “Personal Data” which identifies the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. name, date of birth, address; • “Sensitive Data” about the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. gender, religion, ethnicity; • Reasons for concerns and details of the alleged concerns e.g. type of abuse, location of abuse, levels of risk or urgency; • Information about the physical and or mental health of the alleged victim(s) or alleged perpetrator(s) e.g. mental capacity, communication needs; • Reports of any medical or social care assessments or examinations undertaken as part of the safeguarding adults procedures e.g. eligibility for community care, psychiatric assessment; • Personal Data which identifies professionals involved with the alleged victim(s) or alleged perpetrator(s); • Personal Data which identifies other people who may be at risk e.g. via employment, family, service; • Historical information held in records about the alleged victim(s) or alleged perpetrator(s) that may be relevant to the current safeguarding concern or case review e.g. previous safeguarding adults alert; • Name and contact details of alerter (unless they have stated they wish to remain anonymous and this anonymity would not have a detrimental impact upon the safeguarding adults process); • Name of employer or organisation if the concern relates to a paid worker or volunteer of a service provider; • The agreement also concerns aggregated data (e.g. statistics) which may be shared. In these situations, anonymised information should be used. Controller, Processor, Data Subject, Personal Data, Special Categories of Personal Data and Processing shall have the meanings given to them in the General Data Protection Regulation (GDPR) or the Data Protection Xxx 0000 (together “the Data Protection Legislation”).
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Samples: Information Sharing Agreement
Information to be shared. 4.1 This agreement primarily applies to the sharing of information about an adult(s) at risk where there is a concern they have been a victim of abuse or neglect, however this may involve the sharing of information about others in order to safeguard other adults, children or the general public. Reference is made within this agreement to children; this is because information may need to be shared about children as part of the safeguarding adults enquiry and/or decisions to share information maybe based on risks to children.
4.2 The Agreement agreement concerns the following personal and/or sensitive information which needs to be shared for the purposes outlined in section 2. • 3:
4.2.1 “Personal Datadata” which identifies the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. name, date of birth, address; • .
4.2.2 “Sensitive Datadata” about the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. gender, religion, ethnicity; • .
4.2.3 Reasons for concerns and details of the alleged concerns e.g. type of abuse, location of abuse, levels of risk or urgency; • .
4.2.4 Information about the physical and or mental health of the alleged victim(s) or alleged perpetrator(s) e.g. mental capacity, communication needs; • .
4.2.5 Reports of any medical or social care assessments or examinations undertaken as part of the safeguarding adults procedures e.g. eligibility for community care, psychiatric assessment; • .
4.2.6 Personal Data data which identifies professionals involved with the alleged victim(s) or alleged perpetrator(s); • .
4.2.7 Personal Data data which identifies other people who may be at risk e.g. via employment, family, service; • .
4.2.8 Historical information held in records about the alleged victim(s) or alleged perpetrator(s) that may be relevant to the current safeguarding concern or a case review process e.g. previous safeguarding adults alert; • enquiry.
4.2.9 Name and contact details of the alerter and referrer (unless they have stated they wish to remain anonymous and this anonymity would not have a detrimental impact upon the safeguarding adults process); • . Newcastle Safeguarding Adults Board Multi-agency information sharing agreement Final 13.03.2019 Xxxxxxx Xxxxxxxx Unclassified
4.2.10 Name of employer or organisation if the concern relates to a paid worker or volunteer of a service provider; • .
4.3 The agreement also concerns aggregated data (e.g. statistics) which may be shared. In these situations, anonymised information should be used. Controller, Processor, Data Subject, Personal Data, Special Categories of Personal Data and Processing shall have the meanings given to them in the General Data Protection Regulation (GDPR) or the Data Protection Xxx 0000 (together “the Data Protection Legislation”).
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Information to be shared. 4.1 This agreement primarily applies to the sharing of information about an adult(s) at risk where there is a concern they have been a victim of abuse or neglect, (whether under Chapter 14 or Chapter 1 Wellbeing of the statutory guidance) however this may involve the sharing of information about others in order to safeguard other adults, children or the general public. Reference is made within this agreement to children; this is because information may need to be shared about children as part of the safeguarding adult’s enquiry and/or decisions to share information may be based on risks to children.
4.2 The Agreement agreement concerns the following personal and/or sensitive information which needs to be shared for the purposes outlined in section 2. • 3:
4.2.1 “Personal Datadata” which identifies the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. name, date of birth, address; • .
4.2.2 “Sensitive Datadata” about the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. gender, religion, ethnicity; • .
4.2.3 Reasons for concerns and details of the alleged concerns e.g. type of abuse, location of abuse, levels of risk or urgency; • .
4.2.4 Information about the physical and or mental health of the alleged victim(s) or alleged perpetrator(s) e.g. mental capacity, communication needs; • .
4.2.5 Reports of any medical or social care assessments or examinations undertaken as part of the safeguarding adults procedures e.g. eligibility for community care, psychiatric assessment; • undertaken.
4.2.6 Personal Data data which identifies professionals involved with the alleged victim(s) or alleged perpetrator(s); • .
4.2.7 Personal Data data which identifies other people who may be at risk e.g. via employment, family, service; • .
4.2.8 Historical information held in records about the alleged victim(s) or alleged perpetrator(s) that may be relevant to the current safeguarding concern or a case review process e.g. previous safeguarding adults alert; • adult’s enquiry or in the promotion of wellbeing.
4.2.9 Name and contact details of alerter the referrer (unless they have stated they wish to remain anonymous and this anonymity would not have a detrimental impact upon the safeguarding adults adults’ process); • .
4.2.10 Name of employer or organisation if the concern relates to a paid worker or volunteer of a service provider; • .
4.3 The agreement also concerns aggregated data (e.g. statistics) which may be shared. In these situations, anonymised information should be used. Controller, Processor, Data Subject, Personal Data, Special Categories of Personal Data and Processing shall have the meanings given to them in the General Data Protection Regulation (GDPR) or the Data Protection Xxx 0000 (together “the Data Protection Legislation”).
Appears in 1 contract
Samples: Information Sharing Agreement
Information to be shared. 4.1 This agreement primarily applies to the sharing of information about an adult(s) at risk where there is a concern they have been a victim of abuse or neglect, however this may involve the sharing of information about others in order to safeguard other adults, children or the general public. Reference is made within this agreement to children; this is because information may need to be shared about children as part of the safeguarding adults enquiry and/or decisions to share information maybe based on risks to children.
4.2 The Agreement agreement concerns the following personal and/or sensitive information which needs to be shared for the purposes outlined in section 2. • 3:
4.2.1 “Personal Datadata” which identifies the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. name, date of birth, address; • .
4.2.2 “Sensitive Datadata” about the alleged victim(s) or alleged perpetrator(s) of abuse or neglect e.g. gender, religion, ethnicity; • .
4.2.3 Reasons for concerns and details of the alleged concerns e.g. type of abuse, location of abuse, levels of risk or urgency; • .
4.2.4 Information about the physical and or mental health of the alleged victim(s) or alleged perpetrator(s) e.g. mental capacity, communication needs; • .
4.2.5 Reports of any medical or social care assessments or examinations undertaken as part of the safeguarding adults procedures e.g. eligibility for community care, psychiatric assessment; • .
4.2.6 Personal Data data which identifies professionals involved with the alleged victim(s) or alleged perpetrator(s); • .
4.2.7 Personal Data data which identifies other people who may be at risk e.g. via employment, family, service; • .
4.2.8 Historical information held in records about the alleged victim(s) or alleged perpetrator(s) that may be relevant to the current safeguarding concern or a case review process e.g. previous safeguarding adults alert; • enquiry.
4.2.9 Name and contact details of the alerter and referrer (unless they have stated they wish to remain anonymous and this anonymity would not have a detrimental impact upon the safeguarding adults process); • .
4.2.10 Name of employer or organisation if the concern relates to a paid worker or volunteer of a service provider; • . Newcastle Safeguarding Adults Board Multi-agency information sharing agreement Final Version April 2018 Xxxxxx Xxxxx Unclassified
4.3 The agreement also concerns aggregated data (e.g. statistics) which may be shared. In these situations, anonymised information should be used. Controller, Processor, Data Subject, Personal Data, Special Categories of Personal Data and Processing shall have the meanings given to them in the General Data Protection Regulation (GDPR) or the Data Protection Xxx 0000 (together “the Data Protection Legislation”).
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