Swiss Church in London Data Privacy Statement
This statement details what personal data, if any, is held by Swiss Church in London. For the purposes of data privacy, simply by visiting this website, you cannot be identified personally by us. What about web browser cookies? Read our cookie notice and find more information about disabling browser cookies.
- Personal data
Personal data relates to a living individual who can be identified from that data. Identification can be by the information alone or in conjunction with any other information in the data controller’s possession or likely to come into such possession. The processing of personal data is governed by the General Data Protection Regulation (the ‘GDPR’).
- Data Controller
The Consistoire of The Swiss Church in London is the data controller (contact details below). This means it decides how your personal data is processed and for what purposes.
- How do we process your personal data?
The Consistoire of The Swiss Church in London complies with its obligations under the “GDPR” by keeping personal data up to date; by storing and destroying it securely; by not collecting or retaining excessive amounts of data; by protecting personal data from loss, misuse, unauthorised access and disclosure and by ensuring that appropriate technical measures are in place to protect personal data.
We use personal data for the following purposes: –
- to administer membership records;
- to maintain our financial accounts and records (including the processing of gift aid);
- to provide news and information about events, activities and services at the church;
- to fundraise and promote the interests of the church;
- to manage employees and volunteers;
- to enable the church to provide voluntary services for the benefit of the public in our local community;
- to provide contact details of officers and others with specific responsibilities (eg DBS signatories).
- What is the legal basis for processing your personal data?
- Processing is carried out by a not-for-profit body with a political, philosophical, religious or trade union aim provided: –
- the processing relates only to members or former members (or those who have regular contact with it in connection with those purposes); and
- there is no disclosure to a third party without consent; or
- Processing is necessary for carrying out obligations under employment, social security or social protection law, or a collective agreement; or
- Explicit consent of the data subject has been given.
- Sharing personal data
Your personal data will be treated as strictly confidential and will only be shared with other members of the church in order to carry out a service to other church members or for purposes connected with the church. We will only share your data with third parties with your consent.
- How long do we keep data?
We retain data on the following basis:
|Record Type||Retention Period|
|Members and friends contact details||24 months after the last contact|
|Gift aid declarations and paperwork||6 years after the calendar year to which it relates|
|Registers of Marriage||As required by the Registrar General|
|Register of Baptisms||Indefinitely|
|Register of Funerals||Indefinitely|
|Personal data relating to events for which additional information is gathered.||Disposed of immediately after the event unless anything has occurred (e.g. an accident), which indicates that records should be retained for a longer period.|
|Records of attendance of children/young people and helpers||Indefinitely for safeguarding purposes|
|Photographs and videos of events||24 months after the event – selected items retained for historical records|
|Safeguarding matters||Indefinitely or until advised otherwise by authorities|
|Accident Books||3 years from the date of the last entry (or, if the accident involves a child/ young adult, then until that person reaches the age of 21)|
|Complaints (non -safeguarding)||3 years after resolution of complaint (unless further action is anticipated)|
|Employee Records||6 years after the date of termination of employment|
|Pension Records (money purchase)||6 years after transfer or value taken|
- Your rights and your personal data
Unless subject to an exemption under the GDPR, you have the following rights with respect to your personal data: –
- The right to request a copy of the personal data which The Swiss Church In London holds about you (a Subject Access Request or ‘SAR’);
- The right to request that the Consistoire of The Swiss Church in London corrects any personal data if it is found to be inaccurate or out of date;
- The right to request your personal data is erased where it is no longer necessary for to retain such data;
- The right to withdraw your consent to the processing at any time;
- The right to request that the data controller provide you with your personal data and where possible, to transmit that data directly to another data controller.
- The right, where there is a dispute in relation to the accuracy or processing of your personal data, to request a restriction is placed on further processing;
- The right to object to the processing of personal data;
- The right to lodge a complaint with the Information Commissioners Office.
- Further processing
If we wish to use your personal data for a new purpose, not covered by this Data Protection Notice, then we will provide you with a new notice explaining this new use prior to commencing the processing and setting out the relevant purposes and processing conditions. Where and whenever necessary, we will seek your prior consent to the new processing.
- Contact Details
To exercise all relevant rights, queries of complaints please in the first instance contact the Church Office at The Swiss Church in London, 79 Endell Street, London WC2H 9DY, email firstname.lastname@example.org
You can contact the Information Commissioners Office on 0303 123 1113 or via email https://ico.org.uk/global/contact-us/email/ or at the Information Commissioner’s Office, Wycliffe House, Water Lane, Wilmslow, Cheshire. SK9 5AF.
The Swiss Church in London
Last Updated: 31 July 2019
 Retention periods shown are for illustration only. The Church must determine its own retention periods to meet its own need and statutory compliance.