GDPR - the boring bit! Sorry! Should you have nothing better to do with your time, here it is...
GDPR 2018 Privacy Notice
This document refers to personal data, which is defined as information concerning any living person (a natural person who hereafter will be called the Data Subject) that is not already in the public domain.
The General Data Protection Regulation (GDPR) which is EU wide and far more extensive than its predecessor the Data Protection Act, along with the Privacy and Electronic Communications Regulations (PECR), seek to protect and enhance the rights of EU data subjects. These rights cover the safeguarding of personal data, protection against the unlawful processing of personal data and the unrestricted movement of personal data within the EU and its storage within the EEA.
1 – Ashling Casey-Moore D.O., B.M.A.S, Registered Osteopath & Acupuncturist based at Moore Health Clinic, 303 Belle Vue Road, Bournemouth, Dorset BH6 3BB which hereafter for the purposes of this Privacy Notice will be referred to as the Osteopath, is pleased to provide the following information:
2 - Who I am:
3 - Personal Data
a) For the purposes of providing treatment, the Osteopath may require detailed medical information. I will only collect what is relevant and necessary for your treatment. When you visit my practice, I will make notes which may include details concerning your medication, treatment and other issues affecting your health. This data is always held securely, is not shared with anyone not involved in your treatment, although for data storage purposes it may be handled by pre-vetted staff who have all signed an integrity and confidentiality agreement. To be able to process your personal data it is a condition of any treatment that you give your explicit consent to allow the Osteopath to document and process your personal medical data. Contact details provided by you such as telephone numbers, email addresses, and postal addresses may be used to remind you of future appointments, and provide reports or other information concerning your treatment, with your consent. As part of my obligations as primary healthcare practitioners there may be circumstances related to your treatment, on-going care or medical diagnosis that will require the sharing of your medical records with other healthcare practitioners e.g. GPs, consultants, surgeons and/or medical insurance companies. Where this is required, I will always inform you first unless I am under a legal obligation to comply.
b) For marketing purposes, the Osteopath may also use the contact details provided by you to respond to your enquiries, including making telephone contact and emailing information to you which the practice believes may be of interest to you.
c) In making initial contact with the practice you consent to the Osteopath maintaining a marketing dialogue with you until you either opt out (which you can do at any time) or I decide to desist in promoting my services. The Osteopath may occasionally also act on behalf of its patients in the capacity of data processor, when I may promote other practitioners based at our premises, who may not be employed by me. Osteopaths do not broker your data and you can ask to be removed from our marketing database by emailing or phoning the practice using the contact details provided at the end of this Privacy Notice.
d) Some basic personal data may be collected about you from the marketing forms and surveys you complete, from records of our correspondence and telephone calls and details of your visits to our websites, including but not limited to, personally identifying information like Internet Protocol (IP) addresses.
f) I will only collect the information needed so that I can provide you with the services you require, I do not sell or broker your data.
4 - Legal basis for processing any personal data:
To meet my contractual obligations obtained from explicit Patient Consent and legitimate interest to respond to enquiries concerning the services provided.
5 - Legitimate interests pursued by Osteopaths/Acupuncturists:
To promote treatments for patients with all types of health problems indicated for osteopathic/acupuncture care.
6 – Consent
Through agreeing to this privacy notice you are consenting to the Osteopath processing your personal data for the purposes outlined. You can withdraw consent at any time by using the email address or telephone number provided at the end of this Privacy Notice.
7 – Disclosure
The Osteopath will keep your personal information safe and secure, only staff engaged in providing your treatment will have access to your patient records, although our administration team will have access to your contact details so that they can make appointments and manage your account. The Osteopath will not disclose your Personal Information unless compelled to, in order to meet legal obligations, regulations or valid governmental requests. The practice may also enforce its Terms and Conditions, including investigating potential violations of its Terms and Conditions to detect, prevent or mitigate fraud or security or technical issues; or to protect against imminent harm to the rights, property or safety of its staff.
8 - Retention Policy
The Osteopath will process personal data during the duration of any treatment and will continue to store only the personal data needed for eight years after the contract has expired to meet any legal obligations. After eight years all personal data will be deleted, unless basic information needs to be retained by us to meet our future obligations to you, such as erasure details. Records concerning minors who have received treatment will be retained until the child has reached the age of 25.
9 - Data storage
All Data is held in the United Kingdom. Ashling Casey-Moore, Registered Osteopath, Acupuncturist, does not store personal data outside the EEA.
Patient records are stored on Cliniko, a cloud-based solution located in Australia. Cliniko has signed a contract with this practice to protect patient data subject rights in accordance with GDPR.
10 - Your rights as a data subject
At any point whilst the Osteopath is in possession of, or processing your personal data, all data subjects have the following rights:
Right of access – you have the right to request a copy of the information that we hold about you.
Right of rectification – you have a right to correct data that we hold about you that is inaccurate or incomplete.
Right to be forgotten – in certain circumstances you can ask for the data we hold about you to be erased from our records.
Right to restriction of processing – where certain conditions apply you have a right to restrict the processing.
Right of portability – you have the right to have the data we hold about you transferred to another organisation.
Right to object – you have the right to object to certain types of processing such as direct marketing.
Right to object to automated processing, including profiling – you also have the right not to be subject to the legal effects of automated processing or profiling.
In the event that the Osteopath refuses your request under rights of access, I will provide you with a reason as to why, which you have the right to legally challenge. At your request the Osteopath can confirm what information it holds about you and how it is processed.
11 - You can request the following information:
Identity and the contact details of the person or organisation (Osteopath) that has determined how and why to process your data.
Contact details of the data protection officer, where applicable.
The purpose of the processing as well as the legal basis for processing.
If the processing is based on the legitimate interests of the Osteopath and information about these interests.
The categories of personal data collected, stored and processed.
Recipient(s) or categories of recipients that the data is/will be disclosed to.
How long the data will be stored.
Details of your rights to correct, erasure, restrict or object to such processing.
Information about your right to withdraw consent at any time.
How to lodge a complaint with the supervisory authority (ICO).
Whether the provision of personal data is a statutory or contractual requirement, or a requirement necessary to enter into a contract, as well as whether you are obliged to provide the personal data and the possible consequences of failing to provide such data.
The source of personal data if it wasn’t collected directly from you.
Any details and information of automated decision making, such as profiling, and any meaningful information about the logic involved, as well as the significance and expected consequences of such processing.
12 - To access what personal data is held, identification will be required
The Osteopath will accept the following forms of identification (ID) when information on your personal data is requested: a copy of your driving licence, passport, birth certificate and a utility bill not older than three months. A minimum of one piece of photographic ID listed above and a supporting document is required. If the Osteopath is dissatisfied with the quality, further information may be sought before personal data can be released. All requests should be made to AshlingRMoore@gmail or by phoning +44 (0) 7974247088 or emailing me at the address further below.
In the event that you wish to make a complaint about how your personal data is being processed by the Osteopath you have the right to complain to us. If you do not get a response within 30 days, you can complain to the ICO.
The details for each of these contacts are:
Ashling Casey-Moore DO BMAS, Registered Osteopath/Acupuncturist, Moore Health Clinic, 303 Belle Vue Road, Bournemouth, Dorset BH6 3BB
M: 07773 818822 or E:
The General Osteopathic Council +44 (0) 20 7357 6655 hold details of my contact details in the event that in the future I am not based at Moore Health Clinic.
Wycliffe House, Water Lane, Wilmslow, SK9 5AF Telephone +44 (0) 303 123 1113 or email: https://ico.org.uk/global/contact-us/email/
Contact and trace: Please be aware that I have a duty to provide patients’ names and contact details to “Contact & Trace” if I am requested. The National data Opt-Out has an exemption built in which means that it does not apply when there is an overriding public interest in the use of data, such as there is now with the COVID-19 pandemic being declared a national and global health emergency.