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St Albans City Youth Football Club

Data Protection Policy

Data Protection Act 1998

1)      POLICY STATEMENT  

a)   St Albans City Youth Football Club (Forthwith identified as “The Club”) needs to collect and use certain types of information about Members and their Parents/Carers in order to operate efficiently and effectively. This personal data must be dealt with properly,  however it is collected, recorded or used, whether on paper, in a computer, or recorded on other material. The lawful and correct treatment of personal data is very important in maintaining confidence with those with whom we deal, internally and externally.

 

b)    The Club is committed to the principles and practices of data protection as laid out in the Data Protection Act 1998, subordinate and related legislation and codes of practice and other official guidance.

 

c)    This policy will be achieved through appropriate management, and the strict application of criteria and controls. All persons having access to such material will follow good data protection practice and must handle personal data responsibly.  

 

 

 

2)        Obtaining and Use - Fair Processing Code

 

Persons supplying personal data to be held by the Club must be made aware of the purposes for which it is to be held and used. Only personal data that is really needed should be obtained.

Where the club seeks personal data, they should ensure that the person from whom the information is requested knows the purpose for which the information is required, including any non-obvious but possible use ( for example as part of promotional material or as a feature on the Club website). Records will be maintained by a Club official which will contain a signed authority by Parents/Carers allowing such use.

 

Access to personal Data will be restricted to Authorised individuals nominated by the club (Management Committee). It follows that authorised individuals using information provided by the Club, can only do so in connection with their work with the club. Such individuals will have been subject to the Clubs vetting systems and will have a responsibility to ensure that the information is retained securely and used appropriately. No disclosure of personal data must be made to another party without the express authority of the Clubs committee.

 

3)          ACCURACY OF INFORMATION

 

It is the responsibility of all persons who receives or holds information to ensure, so far as it is possible, that it is accurate, valid and up-to-date. The Clubs nominated Data Protection Officer (Chairman) is required to satisfy him/herself through monitoring and audit as appropriate, that this is done. where it appears that the information may be inaccurate, the matter must be reported and rectified as soon as possible. This is of particular importance when information is shared with other agencies i.e. Local Council, League or F.A.

 

The Data Protection Act requires that personal data shall not be kept for longer than is necessary for its purpose. Therefore Cancellations of membership, amendments and deletions should be carried out as a matter or priority. Particular attention should be paid to ensure that Data held on persons no longer with the Club are expunged at the first available opportunity.

 

 

4)            INDIVIDUALS  RIGHTS

 

 

General  

 

The Act gives all data subjects certain legal rights. These  rights in some circumstances are enforceable by the court system.

   

Subject Access Right

Data subjects have the right to know what data is held about them and and to see the data in intelligible form. Any such request should be addressed to the Clubs nominated Data Protection Officer and must be responded too as soon as reasonably practicable.  

 

Liabilities  

 

Each individual having access to personal data is personally liable if they act outside of this policy without the consent of the Club.  

 

 

Failure to comply with this policy or relevant legislation could result in criminal, civil or internal disciplinary action. Criminal, civil or disciplinary action may lead to imprisonment, fine or other punishment.

Personal data processed by the Club must only be collected, stored or used for its stated purpose.

 

 

 

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