1. This Policy sets out the obligations of Edelia Learning the trading name of Meta Learning Ltd, a Registered Irish company No: 713098 based in Cork, (“the Company”) regarding protection of personal data collected, held, and processed by the Company in accordance with the Data Protection Legislation.. “Data Protection Legislation”, in this Policy, means all legislation and regulations in force from time to time regulating the use of personal data and the privacy of electronic communications including, but not limited to, the EU law version of the General Data Protection Regulation ((EU) 2016/679) (the “GDPR”), as it forms part of the law of Ireland the Data Protection Acts 1988, 2003 and 2018, and ePrivacy Regulations (SI 336/2011) as amended, and any successor legislation;.
This Policy sets out the Company’s obligations regarding the collection, processing, transfer, storage, and disposal of personal data. The procedures and principles set out herein must be followed at all times by the Company, its employees, agents, contractors, or other parties working on behalf of the Company.
2. Definitions
“consent” |
means the consent of the data subject which must be a freely given, specific, informed, and unambiguous indication of the data subject’s wishes by which they, by a statement or by a clear affirmative action, signify their agreement to the processing of personal data relating to them; |
“data controller” |
means the natural or legal person or organisation which, alone or jointly with others, determines the purposes and means of the processing of personal data. For the purposes of this Policy, the Company is the data controller of all personal data relating to customers, clients, employees, suppliers etc. used in our business for our commercial purposes; |
“data processor” |
means a natural or legal person or organisation which processes personal data on behalf of a data controller; |
“data subject” |
means a living, identified, or identifiable natural person about whom the Company holds personal data; |
“EEA” |
means the European Economic Area, consisting of all EU Member States, Iceland, Liechtenstein, and Norway; |
“personal data” |
means any information relating to a data subject who can be identified, directly or indirectly, in particular by reference to an identifier such as a name, identification number, location data, an online identifier, or to one or more factors specific to the physical, physiological, genetic, mental, economic, cultural, or social identity of that data subject; |
“personal data breach” |
means a breach of security leading to the accidental or unlawful destruction, loss, alteration, unauthorised disclosure of, or access to, personal data transmitted, stored, or otherwise processed; |
“processing” |
means any operation or set of operations performed on personal data or sets of personal data, whether or not by automated means, such as collection, recording, organisation, structuring, storage, adaptation or alteration, retrieval, consultation, use, disclosure by transmission, dissemination or otherwise making available, alignment or combination, restriction, erasure or destruction; |
“pseudonymisation” |
means the processing of personal data in such a manner that the personal data can no longer be attributed to a specific data subject without the use of additional information, provided that such additional information is kept separately and is subject to technical and organisational measures to ensure that the personal data is not attributed to an identified or identifiable natural person; and |
“special category personal data” |
means personal data revealing racial or ethnic origin, political opinions, religious or philosophical beliefs, trade union membership, health, sexual life, sexual orientation, biometric, or genetic data. |
3. Scope
4. The Data Protection Principles
This Policy aims to ensure compliance with Data Protection Law. The GDPR sets out the following principles with which any party handling personal data must comply. Data controllers are responsible for, and must be able to demonstrate, such compliance. All personal data must be:
5. The Rights of Data Subjects
The GDPR sets out the following key rights applicable to data subjects:
6. Lawful, Fair, and Transparent Data Processing
7. Consent
If consent is relied upon as the lawful basis for collecting, holding, and/or processing personal data, the following shall apply:
8. Specified, Explicit, and Legitimate Purposes
9. Adequate, Relevant, and Limited Data Processing
10. Accuracy of Data and Keeping Data Up-to-Date
11. Data Retention
12. Secure Processing
13. Accountability and Record-Keeping
14. Data Protection Impact Assessments and Privacy by Design
15. Keeping Data Subjects Informed
16. Data Subject Access
17. Rectification of Personal Data
18. Erasure of Personal Data
19. Restriction of Personal Data Processing
20. Data Portability
21. Objections to Personal Data Processing
22. Automated Processing, Automated Decision-Making, and Profiling – EDelia Learning Does not perform Automated Decision-Making or Profiling.
23. Direct Marketing
24. Personal Data Collected, Held, and Processed
The following personal data is collected, held, and processed by the Company (for details of data retention, please refer to the Company’s Data Retention Policy). For employee data, please see the Employee Privacy Policy:
Data Ref. |
Type of Data |
Purpose of Data |
Legal Basis |
---|---|---|---|
Customer |
Personal |
Customer contact information.
|
Performance of contract |
Potential Customer |
Personal |
Customer contact information.
Site address |
Consent ** |
25. Data Security – Transferring Personal Data and Communications
The Company shall ensure that the following measures are taken with respect to all communications and other transfers involving personal data:
26. Data Security – Storage
The Company shall ensure that the following measures are taken with respect to the storage of personal data:
27. Data Security – Disposal
The Company shall ensure that the following measures are taken with respect to the use of personal data:
28. Data Security – Use of Personal Data
The Company shall ensure that the following measures are taken with respect to the use of personal data:
29. Data Security – IT Security
The Company shall ensure that the following measures are taken with respect to IT and information security:
30. Organisational Measures
The Company shall ensure that the following measures are taken with respect to the collection, holding, and processing of personal data:
31. Transferring Personal Data to a Country Outside the EEA
32. Data Breach Notification
33. Implementation of Policy
This Policy shall be deemed effective as of 1st June 2024. No part of this Policy shall have retroactive effect and shall thus apply only to matters occurring on or after this date.
This Policy has been approved and authorised by:
Name: |
<<insert full name>> |
Position: |
<<insert position>> |
Date: |
<<insert date>> |
Due for Review by: |
<<insert date>> |
Signature: |