Focus On Israel uses personal data about living individuals for the purpose of general Organisation administration and communication.
Focus On Israel recognises the importance of the correct and lawful treatment of personal data. All personal data, whether it is held on paper, on computer or other media, will be subject to the appropriate legal safeguards as specified in the Data Protection Act 1998.
Focus On Israel fully endorses and adheres to the eight principles of the Data Protection Act. These principles specify the legal conditions that must be satisfied in relation to obtaining, handling, processing, transportation and storage of personal data. Employees and any others who obtain, handle, process, transport and store personal data for Focus On Israel must adhere to these principles.
The principles require that personal data shall:
Be processed fairly and lawfully and shall not be processed unless certain conditions are met.
Be obtained for a specified and lawful purpose and shall not be processed in any manner incompatible with that purpose.
Be adequate, relevant and not excessive for those purposes.
Be accurate and where necessary, kept up to date.
Not be kept for longer than is necessary for that purpose.
Be processed in accordance with the data subject’s rights.
Be kept secure from unauthorised or unlawful processing and protected against accidental loss, destruction or damage by using the appropriate technical and organisational measures.
Not be transferred to a country or territory outside the European Economic Area, unless that country or territory ensures an adequate level of protection for the rights and freedoms of data subjects in relation to the processing of personal data.
Please see the below Database selection point 4.
Focus On Israel will treat all your personal information as private and confidential and not disclose any data about you to anyone other than the leadership and ministry overseers/co-coordinators of the Organisation in order to facilitate the administration and day-to-day ministry of the church.
All Focus On Israel staff and volunteers who have access to Personal Data will be required to agree to sign a Confidentiality Policy and a Data Protection Policy.
There are four exceptional circumstances to the above permitted by law:
Where we are legally compelled to do so.
Where there is a duty to the public to disclose.
Where disclosure is required to protect your interest.
Where disclosure is made at your request or with your consent.
Use of Personal Information
Focus On Israel will use your data for three main purposes:
The day-to-day administration of the church; e.g. pastoral care and oversight including calls and visits, preparation of ministry rotas, maintaining financial records of giving for audit and tax purposes.
Contacting you to keep you informed of Organisation activities and events.
Statistical analysis; gaining a better understanding of Organisation demographics. This Organisation’s data will never be passed to a third party, and no personal data will be disclosed.
Information contained on the central database or stored by department heads, will not be used for any other purposes than set out in this section. The central database is kept on a local, secured computer and our subscriber requests are held securely on an internet server which is hosted by Wix.
1. Access to the central database is strictly controlled using strong name specific passwords, which are selected by the data protection administrator. These passwords must not be passed on to a third party without the express permission by the data protection administrator. Volunteers should keep all data secure, by taking sensible and appropriate precautions.
2. Those authorised to use the database only have access to their specific area of use within the database. This is controlled by the Data Protection administrator and Web Administrator. These are the only people who can access and set these security parameters.
3. People who will have secure and authorised access to the central database include Focus On Israel Data Protection Administrator, Web Administrator and Chair of Trustees.
4. The database will NOT be accessed by any authorised users outside of the UK, in accordance with the Data Protection Act, unless prior consent has been obtained from the individual whose data is to be viewed.
5. All access and activity on the database is logged and can be viewed by the Organisation Data Protection Administrator.
6. Subject Access – all individuals who are the subject of personal data held by Focus On Israel are entitled to:
Ask what information the organisation holds about them and why.
Ask how to gain access to it.
Be informed how to keep it up to date.
Be informed what Focus On Israel is doing to comply with its obligations under the 1988 Data Protection Act.
7. Personal information will not be passed onto any third parties outside of the Organisation environment.
8. Subject Consent – The need to process data for normal purposes has been communicated to all data subjects. In some cases, if the data is sensitive, for example, information about health, race or gender, express consent to process the data must be obtained.
Rights to Access Information
Employees and other subjects of personal data held by Focus On Israel have the right to access any personal data that is being held in certain manual filing systems. This right is subject to certain exemptions: Personal Information may be withheld if the information relates to another individual.
Any person who wishes to exercise this right should make the request in writing to the Focus On Israel Data Controller, using the standard letter which is available on line from www.ico.gov.uk
Focus On Israel reserves the right to charge the maximum fee of £10.00 payable for each subject request. Requested information will not be released until full payment has been made.
If personal details are inaccurate, they can be amended upon request.
Focus On Israel aims to comply with requests for access to personal information as quickly as possible, but will ensure that it is provided within 40 days of receipt of a completed form unless there is good reason for delay. In such cases, the reason for delay will be explained in writing to the individual making the request.