Data Breach Policy

Ashby de la Launde with Bloxholm and Temple Bruer and Temple High Grange Parish Council


GDPR defines a personal data breach as “a breach of security leading to accidental or unlawful destruction, loss, alteration, unauthorised disclosure of, or access to, personal data transmitted, stored or otherwise processed”.  Examples include:

•   Access by an unauthorised third party
•   Deliberate or accidental action (or inaction) by a controller or processor
•   Sending personal data to an incorrect recipient
•   Computing devices containing personal data being lost or stolen
•   Alteration of personal data without permission
•   Loss of availability of personal data

Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council takes the security of personal data seriously, computers are password protected and hard copy files are kept in locked cabinets.

 

Consequences of a personal data breach

A breach of personal data may result in a loss of control of personal data, discrimination, identity theft or fraud, financial loss, damage to reputation, loss of confidentiality of personal data, damage to property or social disadvantage.  Therefore a breach, depending on the circumstances of the breach, can have a range of effects on individuals.

 

Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council’s duty to report a breach

If the data breach is likely to result in a risk to the rights and freedoms of the individual, the breach must be reported to the individual and ICO without undue delay and, where feasible, not later than 72 hours after having become aware of the breach.  The Clerk must be informed immediately so they are able to report the breach to the ICO in the 72 hour timeframe.

If the ICO is not informed within 72 hours, Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council, via DPO, must give reasons for the delay when they report the breach.

When notifying the ICO of a breach, Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council must:

i.   Describe the nature of the breach including the categories and approximate number of data subjects concerned and the categories and approximate number of personal data records concerned
ii.   Describe the likely consequences of the breach
iii.   Describe the measures taken or proposed to be taken to address the personal data breach including, measures to mitigate its possible adverse affects.
iv.   Describe the measures taken or proposed to be taken to address the personal data breach including, measures to mitigate its possible adverse effects.

When notifying the individual affected by the breach, Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council must provide the individual with (iii)-(iv) above. 

Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council would not need to communicate with an individual if the following applies:

•   It has implemented appropriate technical and organisational measures (i.e.encryption) so those measures have rendered the personal data unintelligible to any person not authorised to access it;
•   It has taken subsequent measures to ensure that the high risk to rights and freedoms of individuals is no longer likely to materialise, or
•   It would involve a disproportionate effort

However, the ICO must still be informed even if the above measures are in place.

 

Data processors duty to inform Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council

If a data processor (i.e. payroll provider) becomes aware of a personal data breach, it must notify Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council without undue delay.  It is then Ashby de la Launde with Bloxholm and Temple Bruer with Temple High Grange Parish Council’s responsibility to inform the ICO, it is not the data processors responsibility to notify the ICO.

 

Records of data breaches

All data breaches must be recorded whether or not they are reported to individuals.  This record will help to identify system failures and should be used as a way to improve the security of personal data.

 

Record of Data Breaches

Date of breach

Type of breach

Number of individuals affected

Date reported to ICO/individual

Actions to prevent breach recurring

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

 

To report a data breach use the ICO online system:

https://ico.org.uk/for-organisations/report-a-breach/

 

Version number

Purpose/change

Author

Date

0.1

Initial draft

LSS

06/03/18

0.2

Customise

VCS

18/05/18

 

 

 

 

 

 

 

 

 

Policy presented and adopted at Parish Council meeting 16th March, 2022