Morning,
I have just been
give a 'Leisure Centre Membership Customer Insight Sharing Protocol' (LCMCISP)
to advise on.
The objective of
this protocol is to
1) Increase
participation in Leisure Centres
2) Encourage payment
by Direct Debit
3) Redesign Leisure
Centre services.
Leisure Centre
Membership data will be shared with the County Council and a Private Company
(who are acting as consultants). I have (currently) not be told what information
is being shared but it will, I assume, contain personal data, possibly
'sensitive' data as well. I will soon find out.
The LCMCISP states
that data can be shared under the Local Government Act 2000, under Section 2
which states:-
Local Authorities
may do anything , which they consider likely to achieve any one or more of the
following
1) promotion/
improvement of economic well-being in their area
2) promotion/ improvement
of social well-being in their area
1) promotion/ improvement of environmental well-being in their
area
I would like any
comments on this regarding Data Protection issues. Am I right to think this
doesn't feel right. My first reactions were what does it say on the
Membership Form 'Privacy Notice'?, is there 'sensitive data' involved? and not
without the individuals' permission?.
Regards
Steve
______________________________________________________________________________________________________________________
Stephen
Cotterill
Procurement & Technical Officer
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