In this case, is there any clear guidance as to how we distinguish between debt collectors who benefit from Section 29 exemption and who don't? Our practice has been to provide info on request to the police, NHS counter-fraud office, and the DWP Social Security people. Should we have been doing this?
--
From: Trevor Pearce
Deputy Academic Registrar (Academic Services)
-----Original Message-----
From: This list is for those interested in Data Protection issues [mailto:[log in to unmask]] On Behalf Of Michael Doherty
Sent: 19 September 2012 21:18
To: [log in to unmask]
Subject: Re: [data-protection] Request from Northern Gas
Evenin' All,
Statutory debt recovery only. Does not benefit from Section 29 exemption.
Therefore needs information notice to alleged debtor as this would be a new use of data.
Suggest, 'sorry' is a good answer.
md
----- Original Message -----
From: "Broom, Doreen" <[log in to unmask]>
To: <[log in to unmask]>
Sent: Wednesday, September 19, 2012 9:58 AM
Subject: Re: [data-protection] Request from Northern Gas
> Hi Lindsay - I know we have not provided this in the past. Basically we
> are not a sdebt tracing agency! and I doubt if it would be a lawful
> purpose.
> Regards,
> Doreen
>
> -----Original Message-----
> From: This list is for those interested in Data Protection issues
> [mailto:[log in to unmask]] On Behalf Of Lindsay Foody
> Sent: 19 September 2012 09:43
> To: [log in to unmask]
> Subject: Request from Northern Gas
>
> We've had a request from Northern Gas Networks for confirmation of address
> of a named individual to pursue re gas theft - this is the first one I've
> received and from initial discussions, colleagues in other Council have
> taken different approaches - some have provided the info requested and
> others not.
>
> NGN have explained:
>
> "As part of our responsibilities as a Public Gas Transporter, Northern Gas
> Networks Limited (NGN) investigates instances of suspected gas theft and
> is entitled to recover from any offenders the value of gas so taken by
> them from our network ((Gas Act 1986 (as amended by the Gas Act 1995 and
> the Utilities Act 2000) Schedule 2B, paragraph 9)). Furthermore, our Gas
> Transporter Licence requires us to investigate such matters and to use
> reasonable endeavours to recover from those persons who have breached the
> Gas Act the value of the gas they have illegally taken from our network.
> In order to achieve this, for instances of suspected theft of gas it is
> important that we make every effort to ascertain who the responsible party
> is and to obtain an accurate address for them so that we can invoice them
> the value of gas they have illegally taken from our network, together with
> our investigation costs."
>
> Any thoughts?
>
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