Within that there may exist complications resulting from advertising
images/graphics which facilitate another company to collect personal data
relating to the surfers of any particular site. If no personal data is
involved this DPA issue would not arise.
Ian W
> -----Original Message-----
> From: This list is for those interested in Data Protection
> issues [mailto:[log in to unmask]] On Behalf Of Tim Trent
> Sent: Thursday, January 27, 2005 4:14 PM
> To: [log in to unmask]
> Subject: Re: franchise business
>
>
> In any franchise business the Franchisor and the Franchisee
> are each data controllers in their own right whether either
> also acts as a data processor for the other(s) or not.
>
> The privacy notice should be a part of the franchisor's
> policy and franchise "image" and a part of the contract with
> the franchisee. It should be the franchisor's policy
> modified with the franchisee's details where relevant
>
> Linking to websites within the franchise calls for the surfer
> to be made aware when they have moved to another business
> entity. Inside a franchise image this will be unclear unless
> specific notification is given
>
> If this is MLM rather than a true franchise it will get out
> of control very fast
>
> Tim Trent - Consultant
> Direct: +44(0)1344 392644 Mobile:+44(0)7710 126618
> email: [log in to unmask]
> Marketing Improvement Limited, Abbey House, Grenville Place,
> Bracknell, United Kingdom, RG12 1BP
> http://www.marketingimprovement.com
>
>
>
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>
>
> -----Original Message-----
> From: This list is for those interested in Data Protection
> issues [mailto:[log in to unmask]] On Behalf Of
> KAREN SADLER
> Sent: 27 January 2005 15:21
> To: [log in to unmask]
> Subject: [data-protection] franchise business
>
> This is fairly new to me, so an 'idiots' guide would be helpful!
>
> The business is a trading network ; namely the business has a
> network of franchisees, who recruit members. These members
> (also businesses of all
> types) pay a fee to be part of the network, and seeks
> services through a directory, then can 'trade' services at
> discounted rates. All data (which is failry limited) is
> secured by franchisees and is held by the business on a
> database; Members can view the data to enable them to seek
> and initiate business with other members.
>
> Can you give quick advice on the DP considerations?
> 1. what role does the franchisee play here? joint controller?
> or processor? other? 2. what privacy notice should members
> see? 3 can the directory allow a link through to the members
> individual websites? what are the DP considerations here? 4.
> any other critical observations?
>
> thanks
> Karen
>
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