Subject Access Request. You have a right to ask for a copy of the information we have about you (for which we may charge a small fee) and we’ll correct any inaccuracies if you ask us to.
Subject Access Request. All Parties will comply with the requirements of the GDPR including Articles 12-22 in relation to subject rights. • 12 – Exercise of the rights of the data subject • 13 – Information to be provided where personal data are collected from the data subject • 14 – Information to be provided where personal data have not been obtained from the data subject • 15 – Right of access by the data subject • 16 – Right to rectification • 17 – Right to erasure (‘right to be forgotten’) • 18 – Right to restriction of processing • 19 – Notification obligation regarding rectification or erasure of personal data or restriction of processing • 20 – Right to data portability • 21 – Right to object • 22 – Automated individual decision-making, including profiling Any Party receiving a written or verbal request for subject access to personal information under Article 15 of the GDPR relating to information shared under this Agreement must direct the request to their Data Protection Officer who will consult with the other Parties prior to the release of any information provided by those Parties. In order to facilitate this, information should be clearly labelled to identify the source Party. If a Party receives a subject access request and personal data is identified as originating from another agency, it will be the responsibility of the receiving agency to contact the data provider within 2 working days (of becoming aware that Operation Encompass forms part of the request) to consult on the application of potential exemptions under the provisions of the Data Protection Act 2018. If a Party receives a request from an individual to exercise a right to erasure, rectification, restrict processing, or objection to processing in respect of information shared under this Agreement, it will be the responsibility of the receiving party to contact the other Party within 2 working days to inform them of the action taken. It will also be the responsibility of the receiving party to inform the individuals about the recipient(s) of the relevant personal data.
Subject Access Request. 8.1 By virtue of the provisions of the GDPR, a Data Subject is entitled to request for confirmation of his/her information held by Controller through a subject access request. Where a Data Subject makes a Data Subject access request to the Processor, the Processor must without undue delay of the receipt of such request, notify the Controller of the request and request prior authorization of the Controller before responding.
8.2 Where the Controller makes a Data Subject access request to the Processor, the Processor shall within 3 working days take appropriate measures to respond to the request or meet any required obligations.
8.3 In addition to the rights of Data Subjects to request for access to Personal Data collected and stored by the Controller, the Data Subjects are also entitled to the following rights:
a) Request for objection or restriction of processing of Personal Data.
b) Right to information on your data collected and stored.
c) Right to object to automated decision making and profiling.
d) Right to withdraw consent at any time.
e) Right to request rectification and modification of your data which we keep.
f) Right to request for deletion of your data.
g) Right to request the movement of data from us to a Third Party; this is the right to the portability of data.
Subject Access Request. 10.1 If any of the partners to this agreement receives a request made under section 7 of the Data Protection Act 1998 for a copy of their personal information (sometimes known as subject access request) and the requested information contains information provided by another partner agency, the agency that received the request must contact the providing agency before disclosing it to the applicant.
Subject Access Request. 13.1 Individuals have the rights accorded by article 15 of the GDPR, including the right to see a copy of the information held about them. Portsmouth City Council and MHCLG as Data Controllers would each be responsible in responding to subject access requests each receives. MHCLG and Portsmouth City Council will respond appropriately to any subject access request within one month of receipt.
Subject Access Request. 4.1 As a customer has the right to obtain information about the processing of their personal data including through a Subject Access Request and may also request rectification, erasure, restriction, portability and have the right to object, each party agrees to use all reasonable efforts to assist the other Party to comply with such obligations as are imposed on a Party by the Data Protection Legislation. This will include the obligation to:
a) provide a party with reasonable assistance in complying with any Data Subject Request;
b) promptly, and at least within three (3) Business Days, inform the other Party about the receipt of any Data Subject Request;
c) inform the Customer whose data may be processed under this agreement of the processing;
Subject Access Request. 5.2.1 Where a Subject Access Request under the Data Protection Act 1998 is made to any Partner in relation to the Agreement or services commissioned under it and one of the other Partners may hold additional and separate records relevant to the said Subject Access Request the receiving Partner will inform the Service User of that and provide details on how the Service User might obtain those records.
Subject Access Request. 9.1. Individuals have the right according to the GDPR to see a copy of the information held about them. The Council as Data Controller would be responsible in responding to written requests for information about what personal data is being provided about individuals in respect of this project.
Subject Access Request. 9.1. Individuals have the right created by section 7 of the Data Protection Act to see a copy of the information held about them. The Council as Data Controller would be responsible in responding to written requests for information about what personal data is being provided about individuals in respect of this project.
Subject Access Request. Should any Subject Access Requests be received for information held by the IOW Council, including information inputted by HCC staff in their role with IOW Council then these will be dealt with by IOW Council staff in accordance with their existing policies and procedures. For the avoidance of doubt HCC staff acting in their capacity as service providers to the IOW Council will not be third parties. Where information has been provided by HCC under any other arrangement HCC will be regarded as a third party.