This office is a member of
The Canadian Real Estate Association (CREA) and
adheres to and abides by the principles set out
in the CREA Privacy Code. All employees and
sales representatives associated with this
office must sign an acknowledgement that they
will comply with the requirements of the Code.
2. THE POLICY
STATEMENT
This office only collects
personal information necessary to effectively
market and sell the property of Sellers to
locate, assess and qualify properties for Buyers
and to otherwise provide professional and
competent real estate services to clients and
customers.
3. THE PERSON IN
CHARGE
Dieter W. Wolle is the
privacy compliance officer responsible for
privacy compliance in this office. His name
shall be made available to consumers. The
responsibilities of the privacy compliance
officer shall include:
·
establish and update information
protection policies;
·
ensure policies are implemented by
other organization to which data-processing
functions are outsourced;
·
establish criteria for
classification of information;
·
evaluate the accessibility of
sensitive information and take corrective action
where necessary;
·
provide education to employees on
the importance of information protection;
·
attempt to resolve consumer
privacy complaints to the satisfaction of the
consumer
4. THE
COLLECTION, USE AND DISCLOSURE OF PERSONAL
INFORMATION
Only the information
necessary to facilitate the real estate
transaction or otherwise provide professional
and competent service to clients and customers
will be collected;
a) No personal information
shall be collected from an individual without
first obtaining the consent of the individual to
the collection, use and dissemination of that
information;
b) Express consent
(whether oral or written) must always be
obtained except in the following situations:
·
Consent may be implied where the
information is not sensitive and where it can be
reasonably assumed that the individual would
expect the information to be disclosed in this
fashion;
·
Once information is collected, it
will be used and disclosed for the purposes
disclosed to the individual
·
All representation agreements must
include the approved privacy clauses.
Information should be
available to other persons in the office only on
a need-to-know basis.
5.
DISCLOSURE FOR NEW PURPOSE
Anyone using personal
information for some new purpose that extends
beyond the consent already provided must obtain
the express consent of the person for that use;
·
Requests for information by law
enforcement officials, lawyers, private
investigators or other agents or subpoenas for
documents issued by the court must be referred
to the (privacy officer/office manager or
broker/agent as appropriate).
STORAGE
·
Filing cabinets designated by the
office manager to contain personal, including
sensitive, information are to be kept secured at
all times.
·
All personal have computer
passwords. These passwords are confidential and
are not to be shared with any unauthorized
persons.
DESTRUCTION
·
This office has in place a record
retention and destruction policy. Refer to that
portion of the policy manual for details.
6. PROTECTING
INFORMATION
Information must be
protected in a manner commensurate with its
sensitivity, value and criticality. This policy
applies regardless of the media on which
information is stored, the locations where the
information is stored, the systems used to
process the information, or the processes by
which information is handled.
COLLECTION AND
DISCLOSURE
7. ACCURACY OF
PERSONAL INFORMATION
To ensure the quality of
the information collected:
a) Insofar as possible,
personal information should be collected
directly from the consumer.
b) Public property
information (taxes, assessmentdata etc.) should
be verified.
c) Disclaimers of
accuracy in the form approved by the office
should always be attached to any disclosure of
information.
8. ACCESS TO
PERSONAL INFORMATION
a) Copies of any privacy
brochure approved by this office should always
be available to the public in the reception area
of the office.
b) The individual set out
in Section 3 as being responsible for privacy
compliance is the person responsible for
responding to access requests and all such
requests will be referred to him or her. All
staff and salespersons will co-operate fully
with the privacy compliance officer in
responding to requests.
c) On written request and
appropriate identification satisfactory to the
organization, an individual will be advised of
personal information about him/her retained in
the firm’s records;
d) Where information
cannot be disclosed (for example, the
information contains reference to other
individuals or is subject to solicitor-client
privilege) the individual will be given
reasons for non-disclosure;
e) An individual may have
appended to a record, any alternative
information where the office is of the view that
the appended information is, in fact, correct;
f) A minimal
administrative fee may be charged to supply the
information.
9. COMPLIANCE
a) Any complaints from an
individual concerning the collection, use or
disclosure of their personal information or
concerning the individual's ability to access
their personal information must be referred to
the privacy compliance officer, who will attempt
to resolve the complaint to the individual's
satisfaction;
b) In the event the
complaint cannot be resolved internally to the
individual’s satisfactions, he or she will be
advised of where to direct the complaint.