AIM Privacy Policy
Privacy Act 1988 (Cth)
Effective 13 December 2001
Table of Contents
Overview
The Australian Institute of Management - Qld & NT ABN 40 009 668
553 (AIM) has handled Personal Information in relation to membership,
events and training for over 60 years and has been pro-active and committed
to developing policies and procedures to protect the privacy of all clients.
AIM see this is an essential measure in delivering superior customer service
and consequently has implemented Information Technology infrastructure
to effectively manage privacy requirements.
AIM has introduced a compliance program in order to comply with the Privacy
Act, effective 21 December 2001. Relevant policies and procedures have
been developed and consolidated with the aim of improving awareness of
and regulating access to all information.
The AIM Privacy Policy seeks to
- Ensure Personal Information is collected, stored, and used in accordance
with the Privacy Act 1988 (Cth);
- Acknowledge the responsibility of AIM in ensuring that client information
is protected;
- Protect the privacy of clients by ensuring that only relevant Personal
Information, which is necessary to provide products and services, is
collected;
- Ensure that all Personal Information collected, used or disclosed
is accurate, complete and up-to-date;
- Obtain consent to collect sensitive information;
- Take reasonable steps to make an individual aware of
- Why we are collecting information about them;
- Who else we might give it to; and
- Other specified matters
- Destroy or permanently de-identify Personal Information if we no
longer need it for any purpose for which we may use or disclose information.
Purpose
The Australian Institute of Management (AIM) recognises the importance
of privacy and security of personal details of all members, non-members
and delegates. The following Privacy Policy (Policy) indicates the minimum
privacy standards for handling Personal Information, in relation to
internal and external practices. The following Policy aims to protect
and provide absolute privacy and quality assurance for all clients.
Scope
This document sets out the Policy of AIM to comply with the guidelines
issued under section 27 (I) (e) of the Privacy Act and the 'National
Privacy Principles' (NPP's) effective 21 December 2001.
The Privacy Officer will handle any privacy complaints and if no resolution
is reached, the complaint will be forwarded to the Chief Executive Officer
for further action.
Personal Information means "personal information"
as defined in the Privacy Act 1988 (Cth).
This information may include details such as an individual's name,
address, billing information, contact telephone number, email address
or photograph.
AIM products and services means any product or service, provided
to members, non-members and delegates in the normal course of AIM's
functions and activities.
This can be an activity performed in relation to an individual that
is intended or claimed (expressly or otherwise) by the person performing
it to:
-
Assess, record and maintain personal contact details
for marketing of upcoming events and training to members, non members,
delegates and outside service providers;
-
Develop and continue our relationship with members,
non-members, delegates and outside service providers.
Approved Third Parties are our Related Entity (TheCyberInstitute
Pty Ltd ACN 094 916 917), our Associated Entities (AIM National and
other corporate divisions of the Australian Institute of Management)
and Outside Service Providers (including course facilitators, mentors,
publishers and printers, judges, researchers and other similar service
providers to AIM). We have taken reasonable steps to ensure that Approved
Third Parties only handle Personal Information in accordance with the
National Privacy Principles.
Breach
Discipline for Breach of the Privacy Policy
All incidents of breach in relation to this policy must be reported
to the Privacy Officer in the first instance.
Breach of this policy by AIM employees will result in disciplinary
action, and may result in summary dismissal.
Confidentiality
Unauthorised disclosure of AIM information including the misuse of
intellectual property belonging to AIM is prohibited and may result
in termination of employment.
AIMPP1: Collection
All information collected by AIM is for the purpose of providing a
high quality service for all AIM members, non-members and delegates.
1. When collecting Personal Information, AIM will take reasonable steps
to inform the individual of the following:
-
The identity of AIM and its contact details;
-
How the individual may obtain access to his or her
Personal Information;
-
Purposes for which the Personal Information is collected;
-
To whom the Personal Information will be disclosed;
-
What the consequences may be (if any) if the individual
does not provide all of their Personal Information requested.
2. AIM's information collection principles state:
-
Only Personal Information necessary to provide one
or more of its functions or activities is collected;
-
The collection of Personal Information should be conducted
in a lawful and fair manner (approach taken is open and not misleading),
and in a way that is not unreasonably intrusive;
-
If it is reasonable and practicable to do so, collect
Personal Information about an individual only from that individual;
-
If Personal Information is collected about an individual
from someone else, take reasonable steps to ensure that the individual
is or has been made aware of the matters listed in 1 above.
AIM does not actively collect Personal Information which is "sensitive
information" (as defined in the Privacy Act 1988) but may collect
"sensitive information" by consent if it is volunteered.
AIMPP2: Use and Disclosure
The following guidelines apply for use and disclosure of information:
Purpose of Collection
-
The 'primary' purpose for collection of data is always
made clear.
-
Consent for secondary purposes may be obtained at
the same time of gathering information for the primary purpose or
by future call/contact.
Direct Marketing & Follow-up
Your Personal Information may be used for secondary purposes.
- Secondary purposes include:
- Direct marketing;
- Follow-up;
- Relationship development; and
- Promotion of AIM and journal publication.
- If the information is used for secondary purposes, both of the following
apply:
- The secondary purpose relates to the primary purpose of collection,
and if the Personal Information is sensitive information, directly
related to the primary purpose of collection;
- The individual would reasonably expect the organisation to use
or disclose the information for the secondary purpose; or
- The individual has consented to the use or disclosure; or
- If the information is not sensitive information and the use of the
information is for the secondary purpose of direct marketing to non-members:
- It is impracticable for AIM to seek the individual's consent before
that particular use;
- The individual has not made a request to the organisation not
to receive direct marketing communications; and
- AIM's procedures and guidelines on direct marketing are complied
with.
AIMPP3:
Data Quality and Security
AIM will take all reasonable steps to ensure that Personal Information
is accurate, complete and up-to-date at time of use.
Data Quality Procedure
Procedures undertaken to ensure data quality include:
-
Online Member Profile Update forms;
-
Verification of Personal Information during contact;
and
-
Compliance Program procedures.
Information Security
AIM has implemented the following security safeguard and procedures
to ensure individuals' Personal Information are restricted from;
Security of Data
Security safeguard presently in place includes:
-
Network access classes defined on a per user basis
with access level based on a 'need to know' basis.
-
General Ledger Access specified;
-
Ability to lock-out all users;
-
Physical Database server is kept in locked, temperature
controlled room;
-
IT supports 24x7, 365 days per year with a one-hour
response time;
-
Confidential documents are stored nightly in a lockable
physical security area;
-
Data is archived securely;
-
Unique individual passwords for members and delegates.
AIMPP4:
Openness
AIM will provide on request a Privacy Statement information sheet outlining
AIM's Privacy Policy.
Privacy Statement
The Privacy Statement outlines:
-
That the organisation is bound by a NPP's approved
by the Office of the Federal Privacy Commissioner - September 2001;
-
The reason certain types of information is collected;
-
Anonymity and consequences;
-
Contact details of the organisation.
If further information is requested, the individual is directed to
the Website www.aimqld.com.au
or to Dana Kennedy AFAIM, Privacy Officer, on 07 3227 4888 or email privacy@aimqld.com.au.
Access to personal information is provided by the Privacy Officer.
AIMPP5:
Access and Correction
AIM understands that open communication with individuals in relation
to access to Personal Information is necessary to gain trust and to
build a relationship.
In relation to the AIM Privacy Policy, giving access means that on
request, and if none of the NPP exceptions apply, AIM must give an individual
access to personal information, it holds about the individual that falls
within the definition of "Personal Information". This includes
information it has collected from third parties and information it has
received unsolicited and added to its records.
According to AIM Privacy Policy when individuals request information:
-
They are not required to provide a reason;
-
All official requests for information must be in writing;
-
An identity check is undertaken;
-
Information is checked to ensure no information should
be withheld (according to the Privacy Act).
-
Where access to certain details is to be withheld,
reasons for this decision will need to be provided to the individual;
-
Once the Personal Information is prepared and cleared
for access, the information can be provided in the form most appropriate
to the situation. This will take into account the wishes expressed
by the individual in his or her original request.
The total time for processing a request for access to information will
take no longer than 28 days from the time a request is received.
A fee of $10 per hour (or part thereof) plus GST for the time taken
to provide access plus a fee of $1 plus GST per page printed or reproduced
in providing personal information will be charged.
AIMPP6:
Identifiers
In this Privacy Policy:
Identifier includes a number assigned by an organisation to
an individual to identify uniquely the individual for the purposes of
the organisation's operations. However, an individual's name or ABN
(as defined in the A New Tax System (Australian Business Number) Act
1999) is not an identifier.
AIM does not employ as an identifier for an individual any identifier
that has been assigned by:
(a) an agency; or
(b) an agent of an agency acting in its capacity as agent.
AIMPP7:
Anonymity
The provision of your Personal Information is voluntary, but if this
information is not provided AIM may not be able to provide you with
the products or services you request.
AIMPP8:
Transborder Data Flows
AIM will only transfer Personal Information about an individual to
someone (other than the organisation or the individual) who is in a
foreign country if:
The organisation has taken reasonable steps to ensure that the information,
which is transferred, will not be held, used or disclosed by the recipient
of the information inconsistently with the National Privacy Principles.
Queries
Any Privacy-related queries should be addressed to:
Dana Kennedy AFAIM
Privacy Officer
Australian Institute of Management - Qld & NT
Phone 07 3227 4888
Fax 07 3832 2497
Email privacy@aimqld.com.au
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