PRIMARY FAIR PROCESSING NOTICE – SCHOOL
CENSUS 2008
(LAYER ONE – to be sent to all parents)
Layer Two | Layer
Three
Brookhill Leys Primary & Nursery School processes
personal data about its pupils and is a “data
controller” in respect of this for the purposes
of the Data Protection Act 1998. It processes this data
to:
-
support its pupils’ teaching and learning;
-
monitor and report on their progress;
-
provide appropriate pastoral care, and
-
assess how well the school as awhole
is doing.
This data includes contact details, national curriculum
assessment results, attendance information, characteristics
such as ethnic group, special educational needs and any
relevant medical information.
This data may only be used or passed on for specific
purposes allowed by law. From time to time the
school is required to pass on some of this data to local
authorities, the Department for Children, Schools and
Families (DCSF), and to agencies that are prescribed
by law, such as the Qualifications and Curriculum Authority
(QCA), Ofsted, the Learning and Skills Council (LSC),
the Department of Health (DH), Primary Care Trusts (PCT). All
these are data controllers in respect of the data they
receive, and are subject to the same legal constraints
in how they deal with the data.
The Fair Processing Notice has been prepared at a time
of change with the restructuring of the Department for
Education and Skills and the Department of Trade and
Industry into three new Departments: the Department
for Children, Schools and Families (DCSF), the Department
for Innovation, Universities and Skills (DIUS) and the
Department for Business, Enterprise and Regulator Reform
(DBERR). It may be that, [during the period
covered by this FPN], steps will be taken to enable the
DCSF to match individual pupil information with higher
and further education attainment data held by the DIUS.
Pupils, as data subjects, have certain rights under
the Data Protection Act, including a general right to
be given access to personal data held about them by any
data controller. The presumption is that by the
age of 12 a child has sufficient maturity to understand
their rights and to make an access request themselves
if they wish. A parent would normally be expected
to make a request on a child’s behalf if the child
is younger.
If you wish to access your personal data, or
that of your child, then please contact the relevant
organisation in writing. Details of these organisations
can be found on the following website www.brookhill-leys.com or
for those pupils/parents where this is not practical,
a hard copy can be obtained from the School, please contact
the school office.
Your attention is drawn to (Layer 2) of this Fair Processing
Notice, which gives supplementary information about the
processing of pupil data by the organisations mentioned
above, and to the Full Notice (Layer 3) which gives greater
details of how the pupil data is processed and the rights
of parents and pupils. Either can be obtained
by the school website (www.brookhill-leys.com)
or the school office.
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