ASQ (“ASQ Group”, “ASQ Construction Services”, “ASQ Training and Assessments”, “ASQ Recruitments,” “we,” “us,” or “our”) needs to keep certain information on its members and employees to carry out its day-to-day operations which is mostly the delivery of NVQ qualification and training and consultancy service purposes, to meet its objectives and to comply with legal obligations.
The organisation is committed to ensuring any personal data will be dealt with in line with GDPR. To comply with the law, personal information will be collected and used fairly, stored safely and not disclosed to any other person unlawfully.
The aim of this policy is to ensure that everyone handling personal data within the organisation is fully aware of the requirements and acts in accordance with data protection procedures. This document also highlights key data protection procedures within the organisation.
ASQ will, through appropriate management and strict application of criteria and controls:
To meet our responsibilities, we will:
Training and awareness about the General Data Protection Regulations (GDPR) and how it is followed in this organisation will be in the form of a general training/awareness raising once a year.
ASQ provides notice about the policies and procedures in all contract agreements, candidate forms; the policies and procedures are also available on the website, www.asqltd.co.uk. Depending on the purpose for data collection, ASQ may collect the following personal details:
Personal information is kept in the following forms:
How do we process your personal data?
ASQ complies with its obligations under the “GDPR” by keeping personal data up to date; by storing and destroying it securely; by not collecting or
retaining excessive amounts of data; by protecting personal data from loss, misuse, unauthorised access and disclosure and by ensuring that appropriate
technical measures are in place to protect personal data.
We use your personal data for the following purposes:
We shall obtain and process personal data fairly and in accordance with statutory and other legal obligations. Information could be obtained from signed registration forms, contact via our website, telephone call to the centre, request for information, quotes or proposal and from referrals.
In line with GDPR principles, ASQ Training and Assessments will ensure that personal data will:
Unless subject to an exemption under the GDPR, you have the following rights with respect to your personal data:
Anyone whose personal information we process has the right to know what information we hold and process on them, how to gain access to this information, how to keep it up to date and what we are doing to comply with GDPR. They also have the right to prevent processing of their personal data in some circumstances and the right to correct, rectify, block or erase information regarded as wrong.
Individuals have a right under GDPR to access certain personal data being kept about them on computer and certain files. Any person wishing to exercise this right should apply in writing to ASQ office at following details:
ASQ Construction Services LimitedWe may also require proof of identity before access is granted. Groups of people within the organisation who will process personal information are: Directors, Data Protection Officer, Assessors, Office Administrator and any employee delegated to do so.
Queries about handling personal information will be dealt with swiftly and politely.
The organisation will take steps to ensure that personal data is kept secure at all times against unauthorized or unlawful loss or disclosure. Any disclosure of personal data will be in line with our procedures. Any unauthorized disclosure of personal data to a third party apart from our awarding body by any data processor will be seriously frowned at.
The organisation will take steps to ensure that personal data is kept secure at all times against unauthorised or unlawful loss or disclosure. The following measures will be taken:
We maintain accurate, complete, and relevant personal information as reasonably possible and only for the purposes identified in this notice. We retrieve your personal data from emails you shared with us, candidate registration form or website contact form. Please note that we have shared responsibility with regard to the accuracy of your personal information. If the collected personal data is incorrect or outdated, please contact us immediately.
We monitor compliance with our privacy policies and procedures and have procedures to address privacy related complaints and disputes.
If you believe that your personal information is not handled in accordance with the applicable law or our privacy policies, you may submit a complaint to our Data Protection Officer who will investigate the complaint
Contact Details
To exercise all relevant rights, queries of complaints please, in the first instance, contact our office at ASQ Construction Services, Delta House, 175 – 177 Borough High Street, London SE1 1HR
You can contact the Information Commissioners Office on 0303 123 1113 or via email https://ico.org.uk/global/contact-us/email/ or at the Information Commissioner's Office, Wycliffe House, Water Lane, Wilmslow, Cheshire. SK9 5AF.
Definitions of Terms
Privacy: The rights and obligations of individuals and organisations with respect to the collection, use, retention, disclosure, and disposal of personal information.
Personal Information: (sometimes referred to as personally identifiable information or PII) information that is about, or can be related to, an identifiable individual. It includes any information that can be linked to an individual or used to directly or indirectly identify an individual.
Individuals, for this purpose, include prospective, current, and former customers, employees, and others with whom the entity has a relationship. Most information collected by an organisation about an individual is likely to be considered personal information if it can be attributed to an identified individual. Some examples of personal information are as follows:
Sensitive Information: Some personal information is considered sensitive. Some laws and regulations define the following to be sensitive personal information:
Non-personal Information: information about or related to people that cannot be associated with specific individuals. This includes statistical or summarized personal information for which the identity of the individual is unknown or linkage to the individual has been removed. In such cases, the individual’s identity cannot be determined from the information that remains because the information is de-identified or anonymized. Non-personal information ordinarily is not subject to privacy protection because it cannot be linked to an individual. However, some organisations may still have obligations over non-personal information due to other regulations and agreements.
Processing: Is the obtaining, using, holding, amending, disclosing, destroying and deleting personal data. This includes some paper based personal data as well as that kept on computer. The organisation will seek to abide by this code in relation to all the personal data it processes, i.e.
Data Controller: Is responsible for understanding and communicating obligations under the Act, identifying potential problem areas or risks, producing clear and effective procedures, notifying and annually renewing notification to the Information Commissioner and notifying of any relevant interim changes
Explicit Consent: Is the freely given, specific and informed agreement by a customer in the processing of personal information about her/him. Explicit consent is needed for processing sensitive data of our customers.