third partyVersion

1.0

Owner

CTO

Last Updated on

Last Updated by

Bruno Belizario

Approved by

Raphael Santos

Effective Date:

Application

This policy applies to all employees, contractors, and vendors while doing business with Ecoportal and others who have access to European Union (EU) and the European Economic Area (EEA) data subject 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 EU and EEA personal data in accordance with the requirements set forth in the General Data Protection Regulation (EU) 2016/679 (“GDPR”, “Regulation”). 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.

When performing commercial activities in support of Ecoportal products and services that impacts EU/EEA personal data, Ecoportal may engage in certain activities which may require it to receive, store, process, transmit, create, or access and use data which may trigger compliance requirements with the provisions applicable to GDPR. This policy and the GDPR Policies adopted hereunder are intended to support the mission of Ecoportal and to facilitate data processing activities that are important to Ecoportal by:

Roles and Responsibilities

Policy Adoption

Ecoportal shall, in cooperation with relevant stakeholders, develop and adopt necessary and appropriate GDPR Policies, which will include, among other things, the technical, physical, 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 GDPR Policies.

The Ecoportal Information Security and Data Privacy Policies are a component of the GDPR Policies and implement controls which support GDPR compliance.

Responsible Person

Daniel Alexander, Chief Strategy Officer, daniel@ecoportal.co.nz has been assigned responsibility for overall oversight of Ecoportal's GDPR compliance program.

Data Protection Officer

The Data Protection Officer (DPO) shall have the responsibilities set forth in this Policy and GDPR Article 39. The DPO is tasked with daily and ongoing oversight and management of Ecoportal's GDPR Compliance Program, which includes the following responsibilities:

The Data Protection Officer is: Daniel Alexander, Chief Strategy Officer, daniel@ecoportal.co.nz

Article 27 Local Representative 

For entities operating outside of the EU, Representatives must be named (a Representative is defined in Article 4 as “a natural or legal person established in the [EU] who, designated by the controller or processor in writing pursuant to Article 27, represents the controller or processor with regard to their respective obligations under the GDPR.”). Representatives must be established in one of the EU Member States where the data subjects whose personal data the company processes are located. Companies operating in the UK must also appoint a UK Representative. Primary responsibilities include:

Representative(s) is/are:

EU Representative:

UK Representative:

Implementation

Data Protection

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 in accordance with the GDPR notification requirements and the Incident Response Policy.

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 data subject:

SAR when Ecoportal is the data controller:

SAR when Ecoportal is the data processor:

SAR requirements:

Ecoportal as the data processor

Ecoportal as the data controller

SAR Exemptions

SAR Limits

Where permitted by law, such as Article 15 of the GDPR, for any further copies of personal data collected by Ecoportal that are requested by the data subject, Ecoportal may charge a reasonable fee based on administrative costs. Where the data subject makes the request by electronic means, and unless otherwise requested by the data subject, the information shall be provided in a commonly used electronic format.

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.

Upon receipt of legal demands for information,Ecoportal will immediately notify the [Chief Legal Officer], and Data Protection Officer. Ecoportalwill 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. We are unable to process overly broad or vague demands, and we 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

Enforcement

The Data Protection Officer are responsible for the enforcement of this policy.

Employees who may have questions should contact CTO or IT representative as appropriate.

Disciplinary Action

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

Reporting

All suspected violations or potential violations of this policy, no matter how seemingly insignificant, must promptly be reported either to <recipient(s) or policy violation reports, e.g., Legal Counsel, or Ecoportal's Data Privacy Officer immediately, or via the incident reporting process at incidents@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.