Alison
My observation
If the data is collected for evidence my view is you have disclosed /
transfered out of your control to a new data controller.
The compliance with the DPA principles then moves to the Police as the new
data controller.
David Wyatt
----- Original Message -----
From: "Alison Ross-Dow" <[log in to unmask]>
To: <[log in to unmask]>
Sent: Thursday, February 05, 2004 4:08 PM
Subject: Re: [data-protection] New CCTV guidance from IC
> This is partly related to the new guidance with an additional question.
>
> Additional question first.
> Our CCTV officer asked me about the phrase "Transfer - not outside the
> European Community" saying rightly that images should not be released to
> countries outside the EU.
>
> They then asked what the position was if police send the images they have
> seized from us to a non EU country in respect of a serious crime?
>
> What is the case if the police send seized images to the FBI for
> enhancement only?
>
> Are these both covered by crime prevention.
>
> Question slightly related to the guidance.
> I have not yet had time to read this, but perhaps someone who has could
> venture an opinion. We have a scheme where cameras (we own) are held in
> sealed offices to protect small retailers. If a crime is committed the
> police retrieve the data. As we own the cameras we are the data
> controllers, but only the police have access to the cameras.
> I guess we should ensure these are covered by our notification?
>
>
> Speedy answer greatly appreciated.
>
>
> Thanks
>
> Alison Ross-Dow
>
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