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To use the explanation given by the Information Commissioner’s Office, a data controller is “a person who (either alone or jointly or in common with other persons) determines the purposes for which and the manner in which any personal data are, or are to be, processed”. A data controller is the responsible party that must ensure that all processing of personal data complies with the GDPR. Failure to do so may result in legal repercussions. Data processors, on the other hand, process personal data solely under the direction of a data controller, who decides what personal information will be kept and to what uses it may be put.
Templates of privacy notices
REFEDS DPCoCo v2 example
The REFEDS DPCoCo provides a tabular template for service providers to present their privacy notice. This 12-point notice ticks all the requirements of the GDPR in a way that is consistent and can (almost) be parsed by machines, although it is not very readable by people. The advantage of it is that all service providers that use the REFEDS DPCoCo template can be compares, and it makes it 'easier' to create combined notices (e.g. in the line of AARC-G083):
WLCG Example
The Worldwide LHC Computing Grid (WLCG) notice is an example of a federated infrastructure where there is no single point of control and no single controller. It relies on the concept of controller-to-controller transfer of data and the fact that all parties (service providers and AAI platform) are bound by a common policy framework, overseen by the WLCG Management Board. However, a formally liable monitoring body cannot be identified - this is a very common case for research collaborations. It follows the 'BCR-like' model described in AARC-G016:
Jisc Example
The UK research and education organisation Jisc uses a privacy notice that emphasises readability and - through folding text sections - helps end-users understand how their data is used. Aimed at external data subjects, it targets the same audience type as many research collaborations, while also fulfilling all the GDPR and UK ICO requirements:
REFEDS DP CoCo Document development Guidance
The guidance on this page works along side The side the REFEDS Data Protection Code of Conduct which should be asserted in the privacy policy provided
Document development Guidance
Questions to ask yourself when defining this policy:
- Who or what is your Data Controller?
- Will your Research Community have a Data Protection Officer?
- Which information do you need to collect on the user? Is this minimised?
- Specific data collected by each service may vary. Can your Infrastructure provide a template statement for all services?
Example Document Structure
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Name of the
Service
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Description of the Service
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Data controller and a contact person
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You may wish to include the Data Controller defined for the Infrastructure, rather than per-service
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Data controller’s data protection officer (if applicable)
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Jurisdiction and supervisory authority
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The country in which the Service Provider is established and whose laws are applied. SHOULD be an ISO 3166 code followed by the name of the country and its subdivision if necessary for qualifying the jurisdiction.
How to lodge a complaint to the competent Data protection authority:
Instructions to lodge a complaint are available at...
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Personal data processed and the legal basis
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Purpose of the processing of personal data
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Don’t forget to describe also the purpose of the log files, if they contain personal data
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Third parties to whom personal data is disclosed
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Notice clause of the Code of Conduct for Service Providers.
Are the 3rd parties outside EU/EEA or the countries or international organisations whose data protection EC has decided to be adequate? If yes, references to the appropriate or suitable safeguards.
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How to access, rectify and delete the personal data and object to its processing
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Contact the contact personal above. To rectify the data released by your Home Organisation, contact your Home Organisation’s IT helpdesk.
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Withdrawal of consent
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If personal data is processed on user consent, how can he/she withdraw it?
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Data portability
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Can the user request his/her data be ported to another Service? How?
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Data retention
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When the user record is going to be deleted or anonymised? Remember, you cannot store user records infinitely. It is not sufficient that you promise to delete user records on request. Instead, consider defining an explicit period.
Personal data is deleted on request of the user or if the user hasn't used the Service for 18 months
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Data Protection Code of Conduct
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Your personal data will be protected according to the Code of Conduct for Service Providers, a common standard for the research and higher education sector to protect your privacy
Resources
Resources
GDPR - https://gdpr-info.eu/
- GDPR - https://gdpr-info.eu/
- https://wiki.refeds.org/display/CODE/Data+Protection+Code+of+Conduct+Home
- AARC Guidance for exchange of personal information - https://aarc-community.org/guidelines/aarc-g016/
- AARC Data protection impact assessment - https://aarc-community.org/guidelines/aarc-g042/