Policy Aims

First Drive South West is committed to being transparent about how it collects and uses the personal data of its
customers and its workforce, and to meeting its data protection obligations. This policy sets out the organisation’s
commitment to data protection, and individual rights and obligations in relation to personal data.

First Drive South West is committed to complying with data protection legislation and good practice including:

  • Processing personal information only where this is strictly necessary for legitimate organisational purposes
  • Collecting only the minimum personal information required for these purposes and not processing excessive personal information
  • Providing clear information to individuals about how their personal information will be used and by whom
  • Only processing relevant and adequate personal information
  • Processing personal information fairly and lawfully
  • Maintaining an inventory of the categories of personal information processed by First Drive South West
  • Keeping personal information accurate and, where necessary, up to date
  • Retaining personal information only for as long as is necessary for legal or regulatory reasons or for legitimate organisational purposes
  • Respecting individuals’ rights in relation to their personal information, including their right of subject access
  • Keeping all personal information secure

Responsibilities under the General Data Protection Regulation (GDPR)

  • First Drive South West is a Data Controller and a Data Processor under the GDPR.
  • Senior Management and all those in managerial or supervisory roles throughout First Drive South West are responsible
    for developing and encouraging good information handling practices within the organisation.
  • A member of the senior management team is accountable to the Directors for the management of personal information
    within First Drive South West and for ensuring that compliance with data protection legislation and good practice can be demonstrated.
  • First Drive South West has a GDPR Owner who has been appointed to take responsibility for First Drive South West’s
    compliance with this policy on a day-to-day basis.
  • The GDPR Owner has specific responsibilities in respect of procedures such as the Subject Access Request Procedure
    and is the first point of call for Employees/Staff seeking clarification on any aspect of data protection compliance.
  • Compliance with data protection legislation is the responsibility of all staff at First Drive South West who process personal information.

When you express interest in First Drive South West products, we will collect and process the following data from you:

  • Your name
  • Email address
  • Your country

Who will your personal information be shared with?

If we are obliged to disclose personal data by law, or if the disclosure is necessary for purposes of national security, taxation, and criminal investigation, we will do so. In some circumstances, you may not be notified first.

Your data is hosted on several different systems. All these providers have relevant safeguards in place to protect your data in the same way that we do.

What happens with my data and how is it retained?

Upon no longer conducting business with First Drive South West, your data will be stored safely and securely. We will retain your personal data for a maximum of 3 years.

Data protection principles

All processing of personal data must be done in accordance with the following data protection principles of the Regulation, and First Drive South West’s policies and procedures are designed to ensure compliance with them. These are:

Personal data must be processed lawfully, fairly, and transparently

The GDPR introduces the requirement for transparency whereby the controller has transparent and easily accessible policies relating to the processing of personal data and the exercise of individuals’ “rights and freedoms.” Information must be communicated to the data subject in an intelligible form using clear and plain language.

The specific information that must be provided to the data subject must at a minimum include:

  • The contact details of the Data Protection Officer, where applicable
  • The purposes of the processing for which the personal data are intended as well as the legal basis for the processing
  • The period for which the personal data will be stored
  • The existence of the rights to request access, rectification, erasure, or to object to the processing
  • The categories of personal data concerned
  • The recipients or categories of recipients of the personal data, where applicable
  • Any further information necessary to guarantee fair processing

Personal data can only be collected for specified, explicit, and legitimate purposes

Data obtained for specified purposes must not be used for a purpose that differs from those formally notified to the Information Commissioner as part of First Drive South West’s GDPR registration.

Personal data must be adequate, relevant, and limited to what is necessary for processing

  • The GDPR Owner is responsible for ensuring that information, which is not strictly necessary for the purpose for which it is obtained, is not collected.
  • All data collection forms (electronic or paper-based), including data collection requirements in new information systems, must be approved by the GDPR Owner.
  • The GDPR Owner will ensure that, on an annual basis, all data collection methods are reviewed to ensure that collected data continues to be adequate, relevant, and not excessive.

Personal data must be accurate and kept up to date

  • Data that is kept for a long time must be reviewed and updated as necessary. No data should be kept unless it is reasonable to assume that it is accurate.
  • Customers should notify First Drive South West.
  • It is the responsibility of all staff at First Drive South West to ensure that data held by First Drive South West is accurate and up to date. Completion of an appropriate registration or application form etc. will be taken as an indication that the data contained therein is accurate at the date of submission.

Personal data must be kept in a form such that the data subject can be identified only as long as is necessary for processing

  • Where personal data is retained beyond the processing date, it will be pseudonymised in order to protect the identity of the data subject in the event of a data breach.
  • Personal data will be retained in line with the retention of records procedure and, once its retention date is passed, it must be securely destroyed as set out in this procedure.

Personal data must be processed in a manner that ensures its security

  • Appropriate technical and organisational measures shall be taken against unauthorised or unlawful processing of personal data and against accidental loss or destruction of, or damage to, personal data.
  • These controls have been selected on the basis of identified risks to personal data, and the potential for damage or distress to individuals whose data is being processed.
  • Personal data shall not be transferred to a country or territory outside the European Union unless that country or territory ensures an adequate level of protection for the ‘rights and freedoms’ of data subjects in relation to the processing of personal data.
  • The transfer of personal data outside of the EU is prohibited unless one or more of the specified safeguards or exceptions apply.

Accountability

The GDPR introduces the principle of accountability which states that the controller is not only responsible for ensuring compliance but for demonstrating that each processing operation complies with the requirements of the GDPR.

Specifically, controllers are required to maintain necessary documentation of all processing operations, implement appropriate security measures, perform DPIAs (Data Processing Impact Assessment), comply with requirements for prior notifications or approval from supervisory authorities, and appoint a Data Protection Officer if required.

Data subjects’ rights

Data subjects have the following rights regarding data processing, and the data that is recorded about them:

  • To make subject access requests regarding the nature of information held and to whom it has been disclosed.
  • To prevent processing likely to cause damage or distress.
  • To prevent processing for purposes of direct marketing.
  • To be informed about the mechanics of automated decision-taking process that will significantly affect them.
  • Not to have significant decisions that will affect them taken solely by automated process.
  • To sue for compensation if they suffer damage by any contravention of the GDPR.
  • To take action to rectify, block, erased, including the right to be forgotten,.
  • To request the ICO to assess whether any provision of the GDPR has been contravened.
  • The right for personal data to be provided to them in a structured, commonly used and machine-readable format, and the right to have that data transmitted to another controller.
  • The right to object to any automated profiling without consent.

Right to be forgotten

Data Subjects who wish to exercise their right to be forgotten can request this by contacting [email protected].

For any Data Subject who did not become a customer of First Drive South West, a request for the right to be forgotten will be completed within 30 days.

Complaints

Data Subjects who wish to complain to First Drive South West about how their personal information has been processed may lodge their complaint directly with the GDPR Owner by email to [email protected]

Data subjects may also complain directly to the supervisory authority.

Consent

First Drive South West understands ‘consent’ to mean that it has been explicitly and freely given, specific, informed
and unambiguous indication of the data subject’s wishes by which he or she by statement, or by a clear affirmative
action, signifies agreement to the processing of personal data relating to him or her. The consent of the data subject
can be withdrawn at any time.

Security of data

All Employees/Staff are responsible for ensuring that any personal data which First Drive South West holds and for which they are responsible, is kept securely and is not under any conditions disclosed to any third party unless that third party has been specifically authorised to receive that information and has entered into a confidentiality agreement. Care must be taken to ensure that PC screens and terminals are not visible except to authorised Employees/Staff. Manual records may not be left where they can be accessed by unauthorised personnel and may not be removed from business premises without explicit authorisation. As soon as manual records are no longer required for day-to-day customers support, they should be archived. Personal data may only be deleted or disposed of in line with the Data Retention Procedure. Manual records that have reached their retention date are to be shredded and disposed of as ‘confidential waste’.

Rights of access to data

Data subjects have the right to access any personal data (i.e. data about them) which is held in electronic format and manual records which form part of a relevant filing system.

Disclosure of data

First Drive South West must ensure that personal data is not disclosed to unauthorised third parties. First Drive South West will only disclose and discuss personal data with the Primary contact. The GDPR permits certain disclosures without consent so long as the information is requested for one or more of the following purposes:

  • to safeguard national security
  • prevention or detection of crime including the apprehension or prosecution of offenders
  • assessment or collection of tax duty
  • to protect the vital interests of the individual
  • to safeguard our customers including contact with local safeguarding boards

All requests to provide data for one of these reasons must be supported by appropriate paperwork and all such disclosures must be specifically authorised by the GDPR Owner.