Third Principle Sample Clauses

Third Principle. Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed.
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Third Principle. Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed. Due to the complexity of the MASH, providing a prescriptive list of data fields to be shared is difficult. Any information that is shared into and within the MASH Hub will be decided on a case- by-case basis and must be relevant to the aims of this agreement. Examples of data that may be shared include; • Name of subject (child) and other family members, their carers and other persons whose presence and/or relationship with the subject child or children, is relevant to identifying and assessing the risks to that child. • Age/date of birth of subject and other family members, carers, other persons detailed. • Ethnic origin of family members. • Relevant Police information and intelligence • School and educational information (to include family members where appropriate and relevant) • GP and health records (to include family members where appropriate and relevant) • Relevant ASB data • Relevant data from London Ambulance Service or London Fire Brigade • Housing and other partnership data relevant to the child and family who may affect the welfare of that child. Not all of the above information will be shared in every case; only relevant information will be shared on a case-by-case basis where an organisation has a ‘need-to-know’ about the information.
Third Principle. Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed. As described in 2.8, partners will consider sharing personal data about vulnerable adult victims or potential victims and individuals who are a risk to Adults at Risk. All information will be shared on a case-by-case basis where it is appropriate for the receiving agency to have this information to safeguard Adults at Risk and/or protect other Adults at Risk from possible abuse. Not all of the above information held will be shared in every case; only relevant information will be shared where the partner agency has a ‘need-to-know’ the information and any information shared will be the minimum necessary to fulfil the reason for disclosure.
Third Principle. Data Protection 20
Third Principle. Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed. Due to the complexity of the MASH, providing a prescriptive list of data fields to be shared is difficult. Any information that is shared into and within the MASH Hub will be decided on a case- by-case basis and must be relevant to the aims of this agreement. Examples of data that may be shared include; Name of subject (child) and other family members, their carers and other persons whose presence and/or relationship with the subject child or children, is relevant to identifying and assessing the risks to that child. Age/date of birth of subject and other family members, carers, other persons detailed. Ethnic origin of family members. Relevant Police information and intelligence School and educational information (to include family members where appropriate and relevant) GP and health records (to include family members where appropriate and relevant) Relevant ASB data Relevant data from South Central Ambulance Service or Hampshire Fire & Rescue Service. Housing and other partnership data relevant to the child and family who may affect the welfare of that child. Not all of the above information will be shared in every case; only relevant information will be shared on a case-by-case basis where an organisation has a ‘need-to-know’ about the information.
Third Principle. Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed. The data supplied may consist of:- • Name of subject (child) and other family members, their carers and other persons whose presence and/or relationship with the subject child or children, is relevant to identifying and assessing the risks to that child. • Age/date of birth of subject and other family members, carers, other persons detailed. • Ethnic origin of family members. • School (subject only) – not always included. • GP (subject only) – not always included. • Description of incident and police action. • Police checks on all/some family members/ persons mentioned within the Pre-Assessment Checklist (PAC) report. Not all of the above information will be shared in every case; only relevant information will be shared on a case-by-case basis where the partner agency has a ‘need-to-know’ the information.
Third Principle. Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed. Due to the complexity of the information sharing through this protocol, providing a prescriptive list of data to be shared is difficult. Therefore partners will agree to share proportionate information that will be the minimum necessary to enable the panel to achieve its objectives under the Operating Protocol. It will be for the controllers of the relevant information to assess its worth in meeting this principal and determining if disclosure is therefore necessary.
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Third Principle. Data Protection Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed. RELEVANT LEGISLATION Schedule 1, Part 2 Data Protection Act 2018 (The third principle): xxxx://xxx.xxxxxxxxxxx.xxx.xx/ukpga/2018/12/section/37/enacted
Third Principle. Data Protection Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed.
Third Principle. Personal data shall be adequate, relevant and not excessive in relation to the purpose or purposes for which they are processed. The information to be shared under this agreement shall be no more than is necessary to be shared in order to assess and manage risk associated with MAPPA offenders.
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