Strikes me it's still necessary for the performance of a contract.
> On 18 Sep 2014, at 10:02, "Ian Griffiths" <[log in to unmask]> wrote:
>
> Thanks everyone so far.
>
> The main question relates to the return, ie. consent is assumed for the
> delivery but does that extend to a collection at a later date.
>
> The specific circumstance is that the retailer sent the item but before it
> arrived the customer called to change their mind so the retailer sent the
> other one as well. Hence the customer now has two and isn't in any hurry to
> return the first one.
>
> Ian
>
>
>
>
> ----- Original Message -----
> From: "Jane Holden" <[log in to unmask]>
> To: <[log in to unmask]>
> Sent: Wednesday, September 17, 2014 10:21 AM
> Subject: Re: [data-protection] Passing customer details on to a courier
>
>
> I agree. As a consumer using an online retail site I expect, by the nature
> of the transaction that the retail site will have to disclose certain
> information about me, including to a courier service, in order for the goods
> to be delivered/returned
>
> As a regular online purchaser :) I receive notification/documentation
> informing me that an appointed courier will deliver/collect my items.
>
> It's a natural expectation of the customer.
>
> Jane
>
> -----Original Message-----
> From: This list is for those interested in Data Protection issues
> [mailto:[log in to unmask]] On Behalf Of Baines, Jonathan
> Sent: 17 September 2014 10:08
> To: [log in to unmask]
> Subject: Re: [data-protection] Passing customer details on to a courier
>
> Isn't this a situation where the processing is necessary for the performance
> of a contract to which the data subject is a party?
>
> Or am I missing something?
>
> Jon Baines,
> Chairman
> www.nadpo.org.uk
>
>
> -----Original Message-----
> From: This list is for those interested in Data Protection issues
> [mailto:[log in to unmask]] On Behalf Of Paul Ticher
> Sent: 17 September 2014 09:26
> To: [log in to unmask]
> Subject: Re: [data-protection] Passing customer details on to a courier
>
> This is harder (to me, at least) than it looks, because it's not something I
> would bother thinking about normally. Imagine you told the customer that
> you are about to send them a consignment but you can't tell the courier
> their name and address 'because of data protection'.
>
> That suggests to me that in giving the name and address you almost certainly
> have the customer's consent (thus meeting Schedule 2) provided you have
> informed them that the delivery will be made by courier (Principle 1
> Transparency and Principle 2). Your data is presumably relevant and
> accurate (Principles 3 and 4), and if the goods are secure, the data is
> secure (Principle 7). I can't see an issue with Principles 5, 6 or 8.
>
> An address on its own, however, is not personal data. So if you are worried
> you could always omit any personal details (but might end up delivering to
> the wrong person).
>
> I refuse to discuss whether the courier is a Data Controller or Data
> Processor, but I suspect the former.
>
>
> Paul Ticher
> 0116 273 8191
> www.paulticher.com
> 22 Stoughton Drive North, Leicester LE5 5UB
>
> For continuous priority support on Data Protection, sign up to my support
> service:
> www.paulticher.com/data-protection-services
>
>
> ----- Original Message -----
> From: "Ian Griffiths" <[log in to unmask]>
> To: <[log in to unmask]>
> Sent: Tuesday, September 16, 2014 12:34 PM
> Subject: Passing customer details on to a courier
>
>
>> Quick one, can someone just confirm for me as a retailer which sections of
>> the act I'm relying upon in order to be able to pass a customer's address
>> on to a courier?
>>
>> Furthermore would that extend to allowing the courier to pick up a return?
>>
>> Assuming no additional correspondence with the customer after the initial
>> sale except to tell them the stuff would be being collected. ie. no
>> additional permission saught.
>>
>> Thanks
>>
>> Ian
>>
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