Closed Circuit Television Policy
Table of Contents
Appendix: Glossary of Terms………………………………………………………………………………………………………….7
The purpose of this policy is to regulate the use of Closed Circuit Television (CCTV) and its associated technology when monitoring both the internal and external environ of Harcourt Dental Clinic premises. A copy of this CCTV Policy will be made available on the Harcourt Dental Clinic website, provided to all Harcourt Dental Clinic staff and a copy will be provided to visitors / patients on request.
This policy applies to all personnel in and visitors to Harcourt Dental Clinic, 14 Harcourt Street, Dublin 2. Moreover, it relates directly to the location and use of CCTV, and the monitoring, recording and subsequent use of such recorded material.
This policy prohibits CCTV monitoring based on the characteristics and classifications contained in equality and other related legislation e.g. race, gender, sexual orientation, national origin, disability etc. Furthermore, CCTV monitoring is limited to uses that do not violate the reasonable expectation to privacy as defined by law. The CCTV cameras will be used to:
Protect Harcourt Dental Clinic’s buildings and assets, both during and outside of operational hours (the system will be in operation 24 hours a day, every day);
promote the health and safety of personnel and visitors;
support the Gardaí in a bid to deter and detect crime; and
assist identifying, apprehending and prosecuting offenders.
The personal data recorded and stored by the CCTV system will be used only for the purposes outlined in this policy document. Collection, storage and use of CCTV footage shall be in compliance with Data Protection legislation.
The data controller in respect of images recorded and stored by the CCTV system at Harcourt Dental Clinic’s premises is Harcourt Dental Clinic. The data processor is Harcourt Dental Clinic. Kevin Gilmore is responsible for monitoring the implementation and compliance of the CCTV policy within Harcourt Dental Clinic.
The fair obtaining principles inherent in the Data Protection Acts 1988 and 2003 require that those people whose images may be captured on camera are so informed. Accordingly, Harcourt Dental Clinic’s Data Protection Officer will provide a copy of this CCTV Policy to staff and on request to visitors / patients to Harcourt Dental Clinic. Adequate signage will be placed at each location in which CCTV cameras are situated to indicate that CCTV is in operation (locations listed in following section). Signage shall include the name and contact details of the data controller as well as the specific purpose for which the CCTV camera is in place in each location.
The CCTV network for Harcourt Dental Clinic is located in the following areas:
There are 3 cameras in total.
The recording system is a stand-alone Legacy system which records video data. The system can only be accessed by authorised personnel from Harcourt Dental Clinic.
The data captured from the CCTV cameras is securely stored as electronic data in the Communications Room on the ground floor. Typically, this data is recorded on a loop and will be retained for maximum of 30 days. It will be over written after that period. However, data may be retained for longer periods where in the opinion of Harcourt Dental Clinic the events captured may give rise to court proceedings.
The Communications Room is a restricted area. Unauthorised access to that area will not be permitted at any time. Access to the data is restricted to authorised personnel (see Section 6 for list). The area is locked when the clinic is not in operation and there is no access to this area other than with authorised personnel.
The storage devices are password protected. Supervising the access and maintenance of the CCTV system is the responsibility of Harcourt Dental Clinic. Unauthorised access will be viewed as a data breach. In such an event, Harcourt Dental Clinic’s Data Breach Management Policy and Procedure must be followed.
Access to the CCTV system and stored images will be restricted to authorised personnel only (as indicated in Section 6). In relevant circumstances, CCTV footage may be accessed:
Any person whose image has been recorded, has a right to be given a copy of the information recorded, providing that such an image/recording exists (i.e. that it has not been deleted), and provided that an exemption/prohibition does not apply to the release. To exercise that right, a person must make an application in writing / email to Harcourt Dental Clinic providing sufficient information to identify themselves, giving a reasonable indication of the time period sought, and identifying the location of the camera. If the person is under eighteen years, the parent or guardian may make an application. The cost for making this application is €6.35 and will be borne by the applicant. Requests must be responded to by Harcourt Dental Clinic within 40 days.
Access requests can be made to:
Dr Kevin Gilmore
Harcourt Dental Clinic
14 Harcourt Street
When a data access request is received, the relevant footage is copied and a specific retention time is assigned to this copy. In giving a person a copy of his/her data, the data controller may provide a still/series of still pictures, a tape or a disk with relevant images. However, other people’s images should be obscured before the data is released. Data will be delivered to the requester ensuring that security measures have been considered and implemented. A log of access to images will be maintained. If the image is of such poor quality as not to clearly identify an individual, that image may not be considered to be personal data.
With regard to requests from An Garda Síochána to download footage, the Data Protection Commissioner recommends that requests for copies of CCTV footage should only be granted when a formal written (or fax) request is provided to Harcourt Dental Clinic stating that An Garda Síochána is investigating a criminal matter.
For practical purposes, and to expedite a request speedily in urgent situations, a verbal request may be sufficient to allow for the release of the footage sought. However, any such verbal request must be followed up with a formal written request.
It is up to Harcourt Dental Clinic to be satisfied that there is a genuine investigation underway. For practical purposes, a phone call to the requesting Garda’s station may be sufficient, provided that you speak to a member in the District Office, the station sergeant or a higher ranking officer, as all may be assumed to be acting with the authority of a District/Divisional officer in confirming that an investigation is authorised.
A log of all An Garda Síochána requests will be maintained by Harcourt Dental Clinic. Any such requests should be on An Garda Síochána headed paper, quote the details of the CCTV footage required and should also cite the legal basis for the request (i.e. Section 8(b) of the Acts). Prior to Harcourt Dental Clinic issuing any CCTV images to An Garda Síochána, it will be discussed and agreed with the responsible Harcourt Dental Clinic staff member.
There is a distinction between a request by An Garda Síochána to view CCTV footage and to download copies of CCTV footage. In general, An Garda Síochána making a request to simply view footage on the premises of a data controller or processor would not raise any specific concerns from a data protection perspective.
This policy will be reviewed and updated regularly to take into account changing Data Protection legislation or guidelines from the Data Protection Commissioner, An Garda Síochána, and relevant bodies.
|1||May 2018||Policy developed and issued to all staff||Kevin Gilmore|
|A copy made available at reception for visitors.|
Appendix: Glossary of Terms
CCTV – Closed-circuit television is the use of video cameras to transmit a signal to a specific place on a limited set of monitors. The images may then be recorded on video tape or DVD or other digital recording mechanism.
The Data Protection Acts – The Data Protection Acts 1988 and 2003 confer rights on individuals as well as responsibilities on those persons handling, processing, managing and controlling personal data. All staff must comply with the provisions of the Data Protection Acts when collecting and storing personal information. This applies to personal information relating both to employees of the organisation and individuals who interact with the organisation.
Data – information in a form that can be processed. It includes automated or electronic data (any information on computer or information recorded with the intention of putting it on computer) and manual data (information that is recorded as part of a relevant filing system or with the intention that it should form part of a relevant filing system).
Personal Data – Data relating to a living individual who is or can be identified either from the data or from the data in conjunction with other information that is in, or is likely to come into, the possession of the data controller.
Access Request – this is where a person makes a request to the organisation for the disclosure of their personal data under Section 3 and/or section 4 of the Data Protection Acts.
Data Processing – performing any operation or set of operations on data, including:
-Obtaining, recording or keeping the data,
-Collecting, organising, storing, altering or adapting the data,
-Retrieving, consulting or using the data,
-Disclosing the data by transmitting, disseminating or otherwise making it available,
-Aligning, combining, blocking, erasing or destroying the data.
Data Subject – an individual who is the subject of personal data.
Data Controller – a person who (either alone or with others) controls the contents and use of personal data.
Data Processor – a person who processes personal information on behalf of a data controller, but does not include an employee of a data controller who processes such data in the course of their employment, for example, this might mean an employee of an organisation to which the data controller out-sources work. The Data Protection Acts place responsibilities on such entities in relation to their processing of the data.