Data Privacy Statement – Spoor & Fisher – GDPR
Spoor & Fisher Jersey (SFJ) is guided by, and complies with, the requirements set out in the Data Protection (Jersey) Law 2018, which implicitly require compliance with the General Data Protection Regulations of the European Union.
SFJ takes seriously its duty of care over any personal data it holds, in relation to its staff, clients and other third parties.
Personal data of clients held by SFJ will only encompass information necessary for the conduct of its business, and is therefore limited to contact details (ie name, position held (by the individual), e mail address, business address, telephone number).
Such personal data:
- is held by SFJ for the specific purpose of conducting its business, in its provision of intellectual property services;
- is stored securely;
- is accessible only by staff in need of sourcing the data for service purposes;
- is not shared with any third party unless there is an acceptable business purpose to do so; and
- is available on request to any data subject who wishes to see what personal data is retained by SFJ in relation to them.
If a person has any reasonable suspicion of breaches of data security and privacy by SFJ, this should be reported, in confidence, to the Chief Operating Officer, Mike Berry (email@example.com, tel: 00 44 1534 838088).