Version

1.0

Owner

CTO

Last Updated on

Last Updated by

Bruno Belizario

Approved by

Last Review

Application

This policy applies to all employees, contractors, and vendors while doing business with ecoPortal and others who have access to personally identifiable information (PII), also referred to as consumer information (“personal data”), in connection with ecoPortal’s operating activities.

Policy

ecoPortal is committed to protecting the security, confidentiality, and privacy of its information resources, including California consumers’ personal data, in accordance with the requirements set forth in ISO 27701 and all relevant privacy frameworks, laws, and regulations.  Personal data shall only be processed when there is a legal basis to do so, data shall be managed to ensure that security, confidentiality, and privacy are maintained, and data will be used only for authorized purposes. All employees and contractors of ecoPortal share the responsibility for safeguarding personal data to which they have access.

Access to information computing resources is limited to personnel with a business requirement for such access. Access rights shall be granted or revoked in accordance with this Access Control Policy.

When performing commercial activities in support of ecoPortal products and services that impacts consumer personal data (PII), ecoPortal may engage in certain activities which may require it to receive, store, process, transmit, or access and use data which may trigger compliance requirements with the provisions applicable to privacy regulations. This policy and the data privacy and information security policies adopted hereunder are intended to support the mission of ecoPortal and to facilitate data processing activities that are important to ecoPortal by:

ecoPortal shall post a public-facing Privacy Notice (i.e. Privacy Policy). The notice shall be available at or before the point of collection, shall be easy to read and shall:

 If the company markets goods or services in the EU or UK, the Privacy Notice shall include:

Roles and Responsabilities

Policy Adoption

ecoPortal shall, in cooperation with relevant stakeholders, develop and adopt necessary and appropriate data privacy policies, which will include, among other things, the technical and administrative safeguards required to ensure the confidentiality, integrity, and privacy of personal data and protect personal data against reasonably anticipated threats or hazards and unauthorized uses or disclosures. All relevant ecoPortal stakeholders shall cooperate with ecoPortal in the development and implementation of the policies.

The ecoPortal Information Security and Data Privacy Policies are a component of the policies and implement controls which support compliance with all relevant data privacy regulations.

Responsible Person

Manuel Seidel, CEO, manuel@ecoportal.co.nz, has been assigned responsibility for overall oversight of ecoPortal’s Data Privacy Compliance Program, also known as the Privacy Information Management System (PIMS).

Implementation

Data Protection and Regulatory Compliance

All personal data requires a legal basis for processing and will be accessible on a strict need-to-know basis. Personal data is to be kept confidential and must be protected and safeguarded from unauthorized access, modification and disclosure.

Breach Notification

Notification of any reportable unauthorized use or disclosure of personal data will be sent to affected parties, Data Controllers, and relevant regulators in accordance with all applicable notification requirements and the Incident Response Policy.

Identity Verification

ecoPortal shall establish and document a reasonable method for verifying the identity of a requestor which shall not require a fee from the consumer.

The company shall implement reasonable security measures to detect and prevent fraudulent identity verification activity.

Where a consumer maintains a password-protected account with a company, the company may verify their identity using existing authentication practices.

Before providing categories of personal information, the company shall verify the identity of requesters to a "reasonable degree of certainty." Before providing specific pieces of personal information or honoring a deletion request, a company shall verify the identity of requesters to a "high degree of certainty," depending on the sensitivity of the personal information or the risk of harm from an unauthorized deletion request.

A company shall consider the following criteria when determining a verification method:

A company shall avoid personal information unless needed to verify the identity of the requestor. A company shall delete personal information collected for the purpose of verification as soon as possible after processing the request.

If there is no reasonable method by which a company can verify the identity of the consumer to the degree of certainty required by this section, the business shall state so in response to any request and explain why it has no reasonable method by which it can verify the identity of the requestor. If the company has no reasonable method by which it can verify any consumer, the company shall explain why it has no reasonable verification method in its privacy policy. The company shall evaluate and document whether a reasonable method can be established at least once every 12 months.

Agent Verification

When a consumer uses an authorized agent to submit a request to know or a request to delete, a business may require the authorized agent to provide proof that the consumer gave the agent signed permission to submit the request. The business may also require the consumer to do either of the following:

Request Verification for Minors

Process for Opting-In to Sale of Personal Information

When the company has actual knowledge that it sells the personal information of a consumer under the age of 13, it shall establish, document, and comply with a reasonable method for determining that the person affirmatively authorizing the sale of the personal information about the child is the parent or guardian of that child. This affirmative authorization is in addition to any verifiable parental consent required under COPPA, if applicable. (2) Methods that are reasonably calculated to ensure that the person providing consent is the child’s parent or guardian include, but are not limited to:

Consumer (Data Subject) Access Requests (DSAR/SAR)

Subject to the exceptions noted below in this policy, ecoPortal will comply with any SAR concerning the following rights of the consumer:

SAR/DSAR Response Requirements:

Responses to access requests shall include the following data points as appropriate.

SAR when ecoPortal is the data processor:

SAR requirements

SAR Exemptions

Compelled Disclosure

ecoPortal governs the compelled disclosure of customer Personally Identifiable Information pursuant to valid third-party legal demands for such information, such as court orders, search warrants, subpoenas, government investigations, and similar demands, and is incorporated by reference into ecoPortal’s Privacy Policy.

In no cases shall personal information be voluntarily provided to law enforcement or any regulatory agency without the express written consent of the Data Controller or Data Subject.

Upon receipt of legal demands for information, ecoPortal will immediately notify the COO, CEO, and Data Privacy Officer (DPO). 

ecoPortal shall immediately notify any relevant Data Controllers unless prohibited by law.

The Chief Legal Officer in connection with the CEO and Data Privacy Officer will determine the ecoPortal’s response to law enforcement and affected third parties, including data subjects.

If determined to be appropriate by legal, and executive management, the ecoPortal will investigate the demands, and if it is determined at ecoPortal’s sole discretion that they are valid, we will search for and disclose the information that is specified and that we are reasonably able to locate and provide. ecoPortal shall not process overly broad or vague demands, and will not disclose information that is not specifically demanded, except in response to follow-up demands.

ecoPortal may contact customers if we are compelled to disclose their information pursuant to valid legal demands for such information, but we are not required to do so, and in some instances, we may be legally prohibited from doing so.

All external communications with customers, regulators and law enforcement shall be approved by ecoPortal’s COO, and Data Privacy Officer as appropriate.

Enforcement

The COO, CTO, and CEO are responsible for the enforcement of this policy.

Employees who may have questions should contact the COO as appropriate.

Disciplinary Action

Failure to comply with any provision of this policy may result in disciplinary action, including, but not limited to, termination.

Records Retention and Metrics

A record of all consumer requests shall be maintained for at least twenty-four (24) months and shall include the following elements:

Records of consumer requests shall not be shared with any third party except as necessary to comply with a legal obligation.

A company that buys, sells, or shares for commercial purposes the personal information of 10,000,000 or more consumers in a calendar year shall maintain and publish the following metrics:

  1. the number of requests "to know" received and processed

  2. the number of requests "to delete" received and processed

  3. the number of requests "to opt-out" received and processed

  4. the median number of days to respond

The company shall include a link to these metrics in its privacy policy and shall update this information by July 1st annually and shall implement a documented privacy training policy.

Disclosures Log

A record of all non-standard disclosures of PII to third parties, including compelled disclosures to law enforcement and/or regulators shall be logged in Appendix A

Special Cases

Household Requests

Where a household doesn't have a password protect account with a company, the company shall not disclose or delete household personal information unless the following conditions are satisfied:

If a member of a household is under 13, a company must obtain a verifiable parental consent before complying with a request.

Reporting

All suspected violations or potential violations of this policy, no matter how seemingly insignificant, must promptly be reported to privacy@ecoportal.co.nz.

As long as a report is made honestly and in good faith, ecoPortal will take no adverse action against any person based on the making of such a report. Failure to report known or suspected wrongdoing of which you have knowledge may subject you to disciplinary action up to and including termination of employment.

Applicable Laws, Regulations and Standards

Appendix A - Third-Party PII Disclosure Log

Third-Party

PII Disclosed

Reason

Date

Time

Compelled?

Notes