SANNA must ensure that the conditions for lawful processing of personal information set out in the Act, and all the required measures, are complied with.
The member must be aware of the collection of the data and the name and address of the responsible party, whether voluntary or mandatory, and of any law authorising collection, except if:
Establish communication processes with Member (via the Information Officer) Provide Member with access to personal information Enable Member to request correction of personal data Manner of access to information is defined in PAIA manual.
Security Safeguards Business controls for maintaining integrity:
Further processing must be compatible with original purpose Be aware of the potential consequences of further processing Take note of any contractual rights and obligations Take steps to prevent further processing of personal data Data mining must not exceed original purpose Allow retention for historical, statistical or research purposes Stop unlawful processing.
Maintain the accuracy of collected personal information Check that personal data is not misleading Ensure that personal data is up-to-date. Be aware of the impact the integrity of personal data has on the purpose for collecting personal data.
Note: master data must exclude unnecessary records
Note: master data must be secured, and accessed only on the need-to-know basis.
Master Data will be kept within DADIE database, secure and password protected.
Action Plan.
Business purposes for processing data is to maintain a register of all Naturists in South Africa. Use DADIE to register and processing personal data.
Chairman of SANNA
Website: www.sanna.org.za
Facebook: https://www.facebook.com/groups/285301238300903/