Jamaica Gleaner

SAJ members urged to comply with Data Protection Act

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SHIPPING ASSOCIATIO­N of Jamaica (SAJ) President Corah Ann Robertson-Sylvester is urging members of the associatio­n to take the steps necessary to ensure that their organisati­ons are compliant with the new requiremen­ts of the Data Protection Act (DPA), which came into effect on December 1, 2023, marking a major change in how businesses handle personal data in Jamaica.

Despite the fact that the Office of the Informatio­n Commission­er (OIC) extended a six-month grace period for all data controller­s to register with its office, the SAJ president is warning the industry that based on the amount of work involved, the time will move very quickly, and so members should not relax their efforts in ensuring that all systems are put in place before the extension period passes.

The act, which was passed in 2020, outlines how organisati­ons collect, store, use, disclose, and dispose of personal data.

As outlined by the act, personal data is informatio­n (however stored) relating to a living individual, or an individual who has been deceased for less than 30 years, who can be identified from that informatio­n alone or from that informatio­n and other informatio­n in the possession of, or likely to come into the possession of, the data controller. It includes any expression of opinion about that individual and any indication of the intentions of the data controller or any other person in respect of that individual’.

A data controller is defined as any person or public entity, who, either alone or jointly or in common with other persons, determines the purpose for which and the way any personal data are, or are to be, processed.

For members of the Shipping Associatio­n of Jamaica, adherence to the DPA is an urgent priority. As data controller­s within an associatio­n, it is important to determine whether the DPA applies to their operations. This determinat­ion i s based on several factors, including the processing of personal data and the offering of products or services to people living in Jamaica.

An underlying aspect of compliance is the registrati­on process with the OIC. Data controller­s are required to provide thorough informatio­n, including contact details, data processing descriptio­ns, and measures taken to ensure compliance. SAJ members are encouraged to visit the OIC’s website to register their organisati­on as part of their ongoing groundwork to establish procedures to become compliant.

A major feature of DPA compliance is the handling of personal data as data controller­s must assess the types of personal data they handle and establish lawful bases for the processing of each. These bases may include legal obligation­s, legitimate interests, or consent, with careful observance of consent conditions stipulated in the DPA.

Data controller­s must scrutinise data transfers to third parties and processing by data processors to ensure that adequate technical and organisati­onal security measures are in place to safeguard personal data.

In preparatio­n for compliance, the developmen­t of a robust privacy policy is important. It should outline data-processing procedures and contact informatio­n. Additional­ly, data controller­s must conduct a thorough review of existing business processes, policies, and documentat­ion to ensure alignment with DPA requiremen­ts. This includes making notificati­ons to the OIC and providing responses to data subject access requests.

Importantl­y, data protection is not solely the concern of large institutio­ns. Compliance with the DPA is required for all data controller­s, regardless of their size. Non-compliance carries significan­t risks such as reputation­al damage and penalties. Therefore, investing in data protection is not purely a regulatory obligation as it also protects the brand and reputation of businesses.

 ?? ROBERTSON-SYLVESTER ??
ROBERTSON-SYLVESTER

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