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operations:policy:privacy_regulations

Privacy Regulations

The Privacy Regulations are a company-wide document that governs how FritsJurgens deals with GDPR-qualifying personal data. It is one of the policies governed by the Operations circle.

Privacyreglement


This policy is based on the General Data Protection Regulation (GDPR: link), which took effect on 25-05-2018.

This are the privacy regulations for the protection of personal privacy in the context of personal registration and apply to the services provided by FritsJurgens.

Responsible publisher: FritsJurgens © 05-12-2023. All rights reserved. No part of this publication may be reproduced, stored in an automated database, or disclosed in any form or manner without prior written consent from the responsible publisher.

1. Definitions

In this policy, the following terms are defined:

Term Nederlandse term Definition
Privacy privacy The right of individuals to protect personal privacy concerning recording and providing personal data.
FritsJurgens FritsJurgens Each of the companies under the FritsJurgens holding.
Data Subject betrokkene The individual whose data is processed. This includes employees, network contacts, customers, debtors, and suppliers.
Data Controller verwerkingsverantwoordelijke The entity determining the purpose of processing personal data; within FritsJurgens, this is the management.
Processor verwerker The entity authorized to process personal data; within FritsJurgens, this includes the administration and employees, including hired external subcontractors.
Processor Supervisor bewerker The entity processing personal data under the authority of the data controller.
Recipient ontvanger Someone who receives personal data.
Personal Data persoonsgegevens All information that can be traced back to an identified natural person.
Health Data health data Personal data related to a person's physical or mental health, including healthcare data provided.
Processing of Personal Data verwerking van persoonsgegevens Any action involving personal data, including but not limited to collecting, recording, organizing, storing, updating, modifying, retrieving, consulting, using, disseminating, or destroying data.
Consent toestemming Demonstrable agreement of the data subject to the intended data processing, provided through signature, checkbox + signature on a consent form, data submission by the data subject who has previously consented to recorded data, or written consent such as email or WhatsApp message.
Confidentiality geheimhouding Every employee of FritsJurgens who has access to the personal data of employees and customers is obliged to maintain confidentiality. This obligation also applies after termination of employment.

Throughout the policy, for some words, the Dutch translation is given in italics, to clarify.

2. Scope

  1. This policy applies to all paper files, all digital files, and unwritten information within FritsJurgens, as well as its associated data exchange and processing.
  2. FritsJurgens processes information in the following categories:
    • Personal data such as name, address and contact details
      • for personel also date of birth and social security number (burgerservicenummer, BSN)
    • Background data such as work history, skillset and personal network
    • Contract data such as employment contracts, permission forms, purchase and sales contracts, and review reports
    • Process data such as date of entry, software usage logs, complaints registration, reports of data breaches, incident reports
  3. This policy applies within FritsJurgens and relates to the processing of personal data of:

3. Purpose

  1. The purpose of collecting and processing personal data is to have the necessary information for conducting market analysis, sending newsletters (if subscribed), and managing personnel and the company's functioning.
  2. The data of potential customers and network contacts are collected and processed for:
    1. Market analysis.
    2. Sending newsletters (if subscribed).
    3. Referrals.
  3. The data of debtors (i.e. customers), are collected and processed for:
    1. Executing and communicating about provided orders.
    2. Invoicing and receiving payment.
    3. Discussing potential new orders.
  4. The data of creditors (i.e. suppliers and subcontractors), are collected and processed for:
    1. Executing and communicating about provided orders.
    2. Paying invoices and accounting for payments.
    3. Discussing deliveries or services.
  5. The data of employees are collected and processed for:
    1. Making and executing an employment or internship agreement.
    2. Conducting payroll administration.
    3. Collaborating as colleagues.
    4. Being prepared for emergencies.
  6. The data of employee's relations are collected and processed for:
    1. Communicating in case of emergencies.
    2. Implementing 'attentive employership' (e.g. Sinterklaas gifts, baby shower gifts).

4. Representation

The subject whose personal data are recorded may be represented:

  • If younger than sixteen years: by their parent or guardian (such as name and age of employee's children);
  • If under legal restrictions: by their official representative (curator, mentor, bewindvoerder).

5. Responsibility for maintenance and liability

  1. The management is responsible for ensuring the proper processing and management of personal data and can be held liable for it, except in case of force majeure.

6. Access to data

Access to the data is restricted to employees having certain roles grouped in so-called circles of accountability, which roles makes the data processing essential:

Role Purpose Access
MAC recruiting responsible for recruitment all data of applicants, read skillsets of employees
MAC contracting responsible for contracting all data of employees
Hero's working in a team read role/name/schedule of employees
BD responsible for regions all data of contacts and customers
Sales responsible for sales all data of customers
Marketing responsible for marketing all data of contacts
Support support other roles all data managed by the roles requiring support
Operations ultimate responsibility all, if required only

7. Sharing data

  • Regarding employment, we share data with:
    • Payroll administration salarisadministratie (Mulderij & Partners): for payroll administration. They use the online payroll administration package Loket.nl. The payroll administration also provides the legally required information to the Tax Authorities.
    • Pension Fund pensioenfonds (ASR): exclusively for the initial registration with them (you subsequently permit them to process and transmit your data to the payroll administration; they are the data processor for this).
    • Possible Sick Leave Insurance ziekteverzuimverzekering (currently not applicable): This includes personal data such as Name, Address, Citizen Service Number BSN, Salary, and sick leave percentage.
    • Occupational Health Service arbodienst (Alpina@Work): The occupational health service has insight into the nature of sick leave.
    • Possible Absence Guidance verzuimbegeleiding (Alpina@Work): Communication with the absence guidance organization involves reintegration in case of prolonged illness.
    • Accountant (Afier): The accountant has access to and receives a copy of the entire administration, including the payroll administration.
  • For work-related activities, we share data with:
    • IT partner (MatenICT), software suppliers (Microsoft, Zoho, Holaspirit): your name and business contact details. All data is hosted within the EU.
    • Colleagues i.e. all employees and interns within FritsJurgens. Through the administration package, all employees have access to all colleagues' work schedules and business contact details. This includes name, position, business email address, business phone number, work schedule, and roles.
    • Organizer of company outings: name, dietary preferences, and allergies (if participating).
    • Subcontractors and FritsJurgens seconded employees: considered external colleagues. The administration ensures that these external colleagues have access to the business contact details of the employees they are dealing with.
    • Customers: only name, position functietitel, business email address, and work schedule.
    • Website: the name and function/position of the employee.
    • Emergency contact: This involves the contact details of one or more individuals who should be contacted in emergencies and with whom only the nature of the emergency is shared.

8. Processing special personal data

This privacy regulation explicitly does not cover any personal data that is classed as 'special'. This means that within FritsJurgens any data classed as such, such as medical data or information about religion or political preference, may not be handled in any way.

9. Rights of the data subject

FritsJurgens conforms to the legal requirements giving the data subject at least the following rights:

10. Data protection

  1. FritsJurgens has the legal obligation to take both organisational measures (see below) and technical measures (see link).
  2. Paper files (i.e. contracts only) are kept under personal guard of the roles responsible for contracting, signage or administration, until they are scanned and digitally archived after which they are shredded.
  3. Digital files are stored on the Microsoft SharePoint environment only (including OneDrive local cache).
  4. Devices used to access Microsoft SharePoint are protected by at least password to the security standards set by our IT partner MatenICT.
  5. Personal data is stored in the dedicated applications only (see the IT policy on where to save data), but name and function (only) of employees may end up in any of the software packages used throughout the organization.
  6. When sensitive personal data is to be sent, appropriate protection measures should be taken.
  7. All online data is stored within the EU only.
  8. Whenever anyone within FritsJurgens finds out about breach of security or an actual breach, the Protocol data leaks is to be followed.
  9. Any breach in relation to personal data is registered in the data leak register of FritsJurgens.

11. Data retention

Different documents have different retention periods:

Destroying paper files 1 day after the digital scan has been properly archived.
Destroying digital files FIXME
Destroying access logbook 5 years after mutation date.
Destroying email archive FIXME
Destroying digital calendars 5 years after the end of the fiscal year.
Destroying personnel file 2 years after termination of employment.
Destroying payroll administration 7 years after the end of the fiscal year.
Destroying financial information (debtors) 7 years after the end of the fiscal year.
Destroying list of destroyed files 20 years after destruction.
Destroying digital backups 5 years after backup date.
Destroying after approved destruction request 3 months after the request.
Destroying job application letter and CV 4 weeks after completion of the job application process, or one year for open applications.

12. Complaints procedure

The data subject can file a complaint with the management about data processing. This can be done in writing via info@fritsjurgens.com.

13. Change log

  • Any future changes of this policy will be approved by the management and presented in a meeting for all employees.
  • Changes become effective no sooner than four weeks after having been announced to all involved.
  • This policy becomes effective per FIXME 01-01-2024
  • The policy is available on this wiki page or in print through the reception of FritsJurgens.

14. References

operations/policy/privacy_regulations.txt · Last modified: 2023-12-16 09:40 by hpoort

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