Lawful Basis for information Sharing Sample Clauses

Lawful Basis for information Sharing. For the purpose of this agreement, the sharing of personal information is between Competent Authorities and the sharing is for Law Enforcement Processing and non- Law Enforcement Processing, therefore the following lawful basis(es) applies for the processing of personal information.
Lawful Basis for information Sharing. The relevant data protection lawful basis/bases for sharing personal data under this agreement is / are: • Task carried out in the public interest or in the exercise of official authority vested in the Controller (GDPR A6(e)) • Compliance with a Legal Obligation (GDPR A6(c)) The data protection conditions for processing special category personal data are: • Processed for Health or Social Care purposes (DPA Sch1(2))
Lawful Basis for information Sharing. For the purpose of this agreement, the sharing of personal information is between the Police and a Non-Competent Authority, and the sharing of personal data is for Law Enforcement Processing and non-Law Enforcement Processing, therefore the following lawful basis apply for the processing of personal information. Law Enforcement Processing – Lincolnshire Police Lincolnshire Police are a Competent Authority, their investigatory and enforcement powers are derived from numerous Acts which include but are not limited to the following; the Police and Criminal Evidence Act 1984 (PACE), the Criminal Procedures and Investigation Act 1996, the Serious Organised Crime and Police Act 2005. In order to share sensitive data, in relation to law enforcement purposes the processing must meet at least one of the conditions in Schedule 8 of the DPA. In relation to this processing, the following Schedule 8 conditions are satisfied: 1. the exercise of a function conferred on a person by an enactment or rule of law and is necessary for reasons of substantial public interest.
Lawful Basis for information Sharing. For the purpose of this agreement, the sharing of personal information is between the Police (a Competent Authority) and a Non-Competent authority and the sharing is for Law Enforcement Processing and non-Law Enforcement Processing therefore the following lawful bases apply for the processing of personal information. Lincolnshire Police are a Competent Authority, their investigatory and enforcement powers are derived from numerous Acts which include but are not limited to the following; the Police and Criminal Evidence Act 1984 (PACE), the Criminal Procedures and Investigation ▇▇▇ ▇▇▇▇, the Serious Organised Crime and Police ▇▇▇ ▇▇▇▇. In order to share sensitive data, in relation to law enforcement purposes the processing must meet at least one of the conditions in Schedule 8 of the DPA. In relation to thisagreement, the following Schedule 8 conditions are satisfied: 1. the exercise of a function conferred on a person by an enactment or rule of law, and is necessary for reasons of substantial public interest. 2. the administration of justice 3. to protect the vital interests of the data subject or of another individual. Lincolnshire Police have an appropriate policy document in place. The policy document outlines the conditions for processing special category and/ or criminal offence data and how the organisation ensures compliance with the principles.
Lawful Basis for information Sharing. For the purpose of this agreement, the sharing of personal information is between the Police or a Non-Competent Authority and the sharing is for non-Law Enforcement Processing. Lincolnshire Police are a Competent Authority, their investigatory and enforcement powers are derived from numerous Acts which include but are not limited to the following; the Police and Criminal Evidence Act 1984 (PACE), the Criminal Procedures and Investigation ▇▇▇ ▇▇▇▇, the Serious Organised Crime and Police ▇▇▇ ▇▇▇▇. category data where the requirements and conditions are met as set out in the paragraphs outlined below

Related to Lawful Basis for information Sharing

  • Why We Collect Information and For How Long We are collecting your data for several reasons: · To better understand your needs and provide you with the services you have requested; · To fulfill our legitimate interest in improving our services and products; · To send you promotional emails containing information we think you may like when we have your consent to do so; · To contact you to fill out surveys or participate in other types of market research, when we have your consent to do so; · To customize our website according to your online behavior and personal preferences. The data we collect from you will be stored for no longer than necessary. The length of time we retain said information will be determined based upon the following criteria: the length of time your personal information remains relevant; the length of time it is reasonable to keep records to demonstrate that we have fulfilled our duties and obligations; any limitation periods within which claims might be made; any retention periods prescribed by law or recommended by regulators, professional bodies or associations; the type of contract we have with you, the existence of your consent, and our legitimate interest in keeping such information as stated in this Policy.

  • Buyer Information True and complete copies of all documents listed in the Buyer Disclosure Schedule have been made available or provided to Seller. The books of account, stock record books and other financial and corporate records of Buyer and the Buyer Subsidiaries, all of which have been made available to Seller, are complete and correct in all material respects.

  • Request for Information (RFI) means a written request by Contractor directed to A/E or ODR for a clarification of the information provided in the Contract Documents or for direction concerning information necessary to perform the Work that may be omitted from the Contract Documents.