Company Name: RSVP Group.
GDPR: means the General Data Protection Regulation.
Responsible Person: Melissa Dalais
Register of Systems: RSVP Group website (WordPress), Social Media Platforms & MailChimp
Our website address is: https://www.rsvp.group.
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Melissa Dalais: [email protected]
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a. processed lawfully, fairly and in a transparent manner in relation to individuals;
b. collected for specified, explicit and legitimate purposes and not further processed in a the manner that is incompatible with those purposes; further processing for archiving purposes in the public interest, scientific or historical research purposes or statistical purposes shall not be considered to be incompatible with the initial purposes;
c. adequate, relevant and limited to what is necessary in relation to the purposes for which they are processed;
d. accurate and, where necessary, kept up to date; every reasonable step must be taken to ensure that personal data that are inaccurate, having regard to the purposes for which they are processed, are erased or rectified without delay;
e. kept in a form which permits identification of data subjects for no longer than is necessary for the purposes for which the personal data are processed; personal data may be stored for longer periods insofar as the personal data will be processed solely for archiving purposes in the public interest, scientific or historical research purposes or statistical purposes subject to the implementation of the appropriate technical and organisational measures required by the GDPR in order to safeguard the rights and freedoms of individuals; and
f. processed in a manner that ensures appropriate security of the personal data, including protection against unauthorised or unlawful processing and against accidental loss, destruction or damage, using appropriate technical or organisational measures.”
a. This policy applies to all personal data processed by RSVP Group.
b. The Responsible Person shall take responsibility for RSVP Group’s ongoing compliance with this policy.
c. This policy shall be reviewed at least annually.
d. RSVP Group shall respect and comply to the rules regarding the detention of collected data, if same if collected for X company, RSVP Group have 48h to send securely on an approved GDPR platform the data collected, after which same will be erased immediately.
a. To ensure its processing of data is lawful, fair and transparent, RSVP Group shall maintain a Register of Systems [Mailchimp].
b. The Register of Systems shall be reviewed at least annually [Mailchimp].
c. Individuals have the right to access their personal data and any such requests made to RSVP Group shall be dealt with in a timely manner.
a. All data processed by the RSVP Group must be done on one of the following lawful bases: consent, contract, legal obligation, vital interests, public task or legitimate interests.
b. RSVP Group shall note the appropriate lawful basis in the Register of Systems.
c. Where consent is relied upon as a lawful basis for processing data, evidence of opt-in consent shall be kept with the personal data.
d. Where communications are sent to individuals based on their consent, the option for the individual to revoke their consent should be clearly available and systems should be in place to ensure such revocation is reflected accurately in RSVP Group systems.
a. RSVP Group shall ensure that personal data are adequate, relevant and limited to what is necessary in relation to the purposes for which they are processed.
a. RSVP Group shall take reasonable steps to ensure personal data is accurate.
b. Where necessary for the lawful basis on which data is processed, steps shall be put in place to ensure that personal data is kept up to date.
a. To ensure that personal data is kept for no longer than necessary, RSVP Group shall put in place an archiving policy for each area in which personal data is processed and review this process annually.
b. The archiving policy shall consider what data should/must be retained, for how long, and why.
a. RSVP Group shall ensure that personal data is stored securely using modern software that is kept-up-to-date.
b. Access to personal data shall be limited to personnel who need access and appropriate security should be in place to avoid unauthorised sharing of information.
c. When personal data is deleted this should be done safely such that the data is irrecoverable.
d. Appropriate back-up and disaster recovery solutions shall be in place.
In the event of a breach of security leading to the accidental or unlawful destruction, loss, the alteration, unauthorised disclosure of, or access to, personal data, RSVP Group shall promptly assess the risk to people’s rights and freedoms and if appropriate report this breach to the Data Protection Department Mauritius.
Contact person: Melissa Dalais
Email: [email protected]