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Social Media and Privacy: Challenges
    Facing European Employers
            May 24, 2012
Presenters

Moderator


            Michael Porter, Partner, Miller Nash LLP,
            Portland, Oregon, USA
            mike.porter@millernash.com




                                                        2
Presenters

Speakers


           Sonia Cortes, Partner, Cuatrecasas,
           Gonçalves Pereira, Barcelona, Spain
           sonia.cortes@cuatrecasas.com




           Olle Jansson, Partner, Kilpatrick Townsend
           & Stockton LLP, Stockholm, Sweden
           ojansson@kilpatricktownsend.com
                                                        3
Presenters

Speakers

           Michael Leftley, Partner, Addleshaw Goddard,
           London, England
           michael.leftley@addleshawgoddard.com




           Jan Tibor Lelley, Partner, Buse Heberer
           Fromm, Essen Germany
           lelley@buse.de

                                                     4
Presenters

Speakers


           Angelo Zambelli, Partner, Grimaldi Studio
           Legale, Milan, Italy
           azambelli@grimaldilex.com




                                                       5
Workplace privacy and
employee monitoring:
 the do’s and don’ts



                        6
Workplace Privacy: Spain

• Conflict between employees’
  fundamental right to privacy and
  employers’ right to business




                                     7
Workplace Privacy: Spain

Sustaining employee rights: the Do’s
• Implement company policy, i.e., inform
  employees:
  – They should expect no privacy of IT use
  – Random controls may be carried out
• Forbid or limit employees’ private use
  of IT

                                              8
Workplace Privacy: Spain

• Video surveillance:
  – Prior information: works council & notice
  – Proportionality & reasonability tests :
    • Limit to business needs
    • Limitations to storage term
    • Choose the least interference
      procedure

                                                9
Workplace Privacy: Spain

Sustaining employee rights: the
Don’ts
• Unjustified controls / surveillance
• Excessive or inappropriate
  controls/surveillance
     conform to the specific justifying
    purpose or business needs

                                          10
Workplace Privacy: Spain


• Avoid tolerance of private use of IT by
  employees
• In Europe, avoid infringement of Data
  Protection Directive: data base
  registration, prior information, limit to
  purpose, comply with law for personal
  data transfers to the U.S., etc.

                                              11
Workplace Privacy: Sweden


• Employers’ right to lead and delegate
  work
• Control employees’ e-mails?
• Monitor employees’ internet activities?
• Video surveillance?
• Biometric identifiers?

                                        12
Workplace Privacy: Germany


• Video surveillance
• Monitoring of internet and email use
• Global Positioning System (GPS)
• Electronic and bio-metric access
  surveillance to office buildings and/or
  workplace


                                            13
Workplace Privacy: Germany


• Let your employees consent!
• Have a legal basis at hand for
  monitoring with technical devices!
• Obey data privacy laws [e.g. Federal
  Data Protection Act – BDSG]!
• Involve your works council before you
  start!
• Involve your data privacy officer!
                                          14
Workplace Privacy: England & Wales


• Monitoring employee use of email and
  internet involves processing personal
  data and must be in line with the Data
  Protection Act 1998.
• Any monitoring must be for lawful
  purposes and must be proportionate.


                                        15
Workplace Privacy: England & Wales


• Potentially lawful purposes include:
  investigating serious misconduct,
  health and safety and service
  standards.
• Obligation to inform employees.
• Impact assessments

                                         16
Workplace Privacy: Italy


General principle:
Ban on distance monitoring devices directly
aimed at controlling the employees' work
activities/performance (keystroke pattern
analysis, systematic scanning and recording of
e-mail messages, systematic storage of web
pages visited, etc).


                                                 17
Workplace Privacy: Italy


Exceptions:
• Unintentional controls (with prior works’
  council agreement or labour office
  authorization)
• Defensive monitoring (always allowed)




                                              18
Holding applicants and
 employees responsible for
tweeting, blogging, and using
        social media


                            19
Tweeting, Blogging, etc.: Germany


• Differentiate between communication
  at work and …
• Communication elsewhere
• Freedom of speech as constitutional
  right - even at work
• German labor courts are reluctant with
  accountability for use of social media
                                        20
Tweeting, Blogging, etc.: Germany

• Make a social media guideline
  mandatory:
  – Prohibit private use of social media at work
  – Create rules for private use – if allowed
  – Make compliance with laws an express duty
  – Prohibit sharing of trade secrets and
    company‘s intern information
  – Make clear the consequences for violations
    (e.g., warning, termination of employment)
                                               21
Tweeting, Blogging, etc.: Italy

• Guidelines issued by the Data
  Protection Authority in March 2007
• Internal policies on the use of the
  Internet, e-mail accounts, etc. from
  company devices
• Use of social networks and the Internet
  during working hours: performance of
  activities other than work during work
  time and disciplinary consequences
                                         22
Tweeting, Blogging, etc.: Italy


• Cases of dismissal based on social
  media information: they mainly relate
  to the misuse (or use against the
  company policies) of the Internet –
  including Facebook – during work
  hours



                                          23
Tweeting, Blogging, etc.:
            England & Wales


•   Clear policies and procedures
•   Acceptable use
•   Bullying and harassment
•   Employer reputation



                                     24
Tweeting, Blogging, etc.: Spain

• Ensure implementation of appropriate
  company policy to:
   – Allow obtaining lawful evidence to use in
     trial
   – Avoid tolerance
• Court decisions assess severe loss of
  working time as breach of duty
• Importance of the test of proportionality
  and reasonability
                                                 25
“Tweeting, Blogging, etc.: Sweden


• Duty of loyalty
• Freedom of speach
• Employees working in private vs.
  public sector
• “The high school principal”



                                      26
Differentiating between
personal and work-related
     communication




                            27
Communication: England & Wales


• Employer reputation paramount
• Can there be a legitimate expectation
  of privacy when using social media?
• During work vs. outside of work?
• Can an employer take account of
  private activities?


                                          28
Communication: England & Wales

Employment reputation
• In the UK, employer reputation is a key
  theme running through cases involving
  misuse of social media
• Dismissals have been found to be fair where:
   – Email is sent to client from home computer
   – Derogatory comments made on Facebook
   – Employee involved in BDSM activities on
      web-unrelated to work
                                             29
Communication: England & Wales

Expectation of privacy when using
social media
• Comments posted on social media sites by
  their nature are public
• Potential readership will be relevant to the
  reasonableness of the sanction imposed




                                                 30
Communication: England & Wales

During work vs. outside of work
• During work
  – Issues around unreasonable usage
• Outside of work
  – Inappropriate private behaviour
  – Criticising the employer
  – Bullying and harassment
                                       31
Communication: England & Wales

Private activities
• An employer can take account of
  private activities but only in limited
  circumstances
• Where private matters interfere with
  ability to carry out duties



                                           32
Communication: Sweden


• Work equipment
• Guidelines
• Private vs. work-related e-mails




                                     33
Communication: Germany

• Major distinction: is personal use of
  employer‘s communication tools (internet,
  email, smartphone etc.) allowed?
• Telecommuniation privacy privilege
  (Telekommunikationgesetz) applicable to all
  personal communication
• Generally no monitoring permissible if
  telecommuincation privacy privilege is
  applicable

                                                34
Communication: Germany


• All work-related communication can be
  legally monitored
• Telecommunication privacy privilege
  applicable only during transfer of data
• Telecommuincation privacy privilege
  applicable only if information is classified as
  “private”


                                                    35
Communication: Germany


• Unauthorised monitoring of private
  communication can be considered a criminal
  offense (Section 206 Criminal Code, Section
  202 a Criminal Code – StGB)




                                            36
Communication: Italy


• Monitoring allowed if:
  – Employee uses employer-owned and controlled
    equipment or networks;
  – Employer has a clear computer use policy;
  – Prior agreement with works council or labour office
    authorization.




                                                      37
Communication: Italy


• Disclosure of company’s confidential
  information: balance between employee’s
  privacy rights and employer’s right to
  protect its interests. The latter prevails.
• Monitoring of unlawful activity carried out
  by the employee – including the one
  perpetrated through social networks – is
  legitimate (defensive monitoring).
                                                38
Communication: Italy


• Negative statements about the company:
  individual freedom to express one’s
  opinion(s).
• Limit: damage of the company’s
  reputation (libel - defamation).




                                       39
Communication: Spain

• At work: Unreasonable usage or
  inappropriate behaviour
• Out of work: Protected by privacy and
  right to freedom of speech. Employer can
  interfere only if it has a relevant impact:
   – Interference with other employees’
     fundamental rights, e.g., discrimination
     (race, gender, etc.)
   – Inappropriate behaviour having a relevant
     impact on employer’s business
                                             40
When and how background
checks can include obtaining
  information on the Web




                               41
Background Checks & the Web: Italy

Ban to process information regarding the
candidate that is not relevant to assess
his/her professional attitude, irrespective of
any written consent given:
• Politics
• Religion
• Trade union affiliation
• Any other data irrelevant for performing
  working activities
                                                 42
Background Checks & the Web: Italy


Exception:
Organization with specific tendencies (such as
religious schools or political parties), provided
that the role to be assigned to the candidate is
not “neutral”




                                                    43
Background Checks & the Web: Italy

• Examples of forbidden background
  checks:
 • Kinship with other employees;
 • Criminal records (except for specific types
   of activities);
 • Pregnancy;
 • Sexual orientation
 • Candidate's health conditions (unless
   relevant for performing the job functions)
                                                 44
Background Checks & the Web: Italy

• Examples of permitted background
  checks:
 •   Identity of the candidate;
 •   Previous work experience;
 •   School/training/professional qualification;
 •   Attitude/psychological tests




                                                   45
Background Checks & the Web: Italy

• The law permits employers to access and rely
  on information about an employee that is
  publicly available unless it relates to a protected
  characteristic, such as race or disability, or a
  protected activity, such as a union affiliation.
• The same rules apply to job applicants.
• Employers may not use coercion or fraudulent
  means to access a candidate’s social network
  posts or contents where the candidate has
  taken steps to secure the information or
  otherwise keep it private.
                                                   46
Background Checks & the Web: Spain


• Required justification to access private
  websites, particularly where access
  has been limited
• Justification related to nature of job,
  particularly where health and safety
  are involved


                                            47
Background Checks & the Web:
             Sweden

• Obtaining of information is always
  allowed
• If the information is being kept in
  automated/organised files, the
  Personal Data Act requires the
  following:


                                        48
Background Checks & the Web:
              Sweden

1. Only authorities are generally allowed to
   keep data concerning legal offences.
2. The employee has the right to be informed of
   the information registered through the
   background check.




                                               49
Background Checks & the Web:
              Sweden

3. Consent is required for: (i) sensitive personal
   data and (ii) financial information that is not
   obtained before hiring for an executive
   position or a position with great financial
   responsibility. A weighing is always being
   done when there is no consent.
4. The personal data can not be kept for longer
   than necessary with regards to the purpose
   of the treatment of the data.
                                                50
Background Checks & the Web:
         England & Wales


• Do employers vet online?
• Risks? - discrimination
• Approach, when to vet in the process,
  consistency, verification.



                                          51
Background Checks & the Web:
            Germany


• Background check offline and online
• Legal and illegal information
• No transparent applicant or employee
• Co-determination of works council
• Review by data privacy officer

                                         52
Background Checks & the Web:
            Germany

• Legal information from background
  checks on the web:
  – Any information that is work related; and
  – Is directly connected to the employee‘s
    position or for which an applicant is hired




                                                  53
Background Checks & the Web:
            Germany

• Illegal information from background
  checks on the web:
  – Any information that is not work-related or
    related to the position to which the
    applicant has applied
  – Any facts that could be used as basis to
    discriminate against the applicant

                                               54
Data protection and privacy
           issues




                              55
Data Protection & Privacy: Sweden

• The Personal Data Act
• General rule: the employee’s consent is
  required
• Weighing of interests
• Sensitive personal data
• Transfer of personal data within the
  EU/EES
• Transfer of personal data to a third country
• The Safe Harbour Principles
                                                 56
Data Protection & Privacy: Spain

• Restrictions to body search and search
  of employee’s lockers
• Whistleblowing
  – No anonymous whistleblowing
  – Limited storage of data
• Employee representatives’ right to
  certain employee information

                                       57
Data Protection & Privacy: Italy
• Personal data: processing only with the
  express consent of the employee,
  documented in writing.
• Consent not required if the processing is
  necessary either to comply with an
  obligation imposed by the law,
  regulations, and EU legislation or for
  performing obligations resulting from a
  contract (example: pre-contractual use of
  personal data for recruitment purposes).
                                              58
Data Protection & Privacy: Italy


• Sensitive data: processing without
  consent provided that the Data Protection
  Authority allows it (general authorization
  no. 1/2011).




                                           59
Data Protection & Privacy: Germany

• Federal data protection act
  (Bundesdatenschutzgesetz – BDSG)
  applicable to collecting, using, and
  monitoring personal data.
• General rule: collecting, using and
  monitoring personal data is prohibited
  unless:
  – Employee consents expressly in writing
  – Law expressly allows it.
                                             60
Data Protection & Privacy: Germany


•     32 BDSG provides for legal basis to
    collect, use, and monitor data legally at
    work.
• Company‘s data privacy officer has to
  review and confirm
• Works council can claim co-
  determination
                                            61
Data Protection & Privacy:
         England & Wales


• Data Protection Act 1998
• The Employment Practices Code




                                  62
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                                                              63

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May 24, 2012 ELA Webinar

  • 1. Social Media and Privacy: Challenges Facing European Employers May 24, 2012
  • 2. Presenters Moderator Michael Porter, Partner, Miller Nash LLP, Portland, Oregon, USA mike.porter@millernash.com 2
  • 3. Presenters Speakers Sonia Cortes, Partner, Cuatrecasas, Gonçalves Pereira, Barcelona, Spain sonia.cortes@cuatrecasas.com Olle Jansson, Partner, Kilpatrick Townsend & Stockton LLP, Stockholm, Sweden ojansson@kilpatricktownsend.com 3
  • 4. Presenters Speakers Michael Leftley, Partner, Addleshaw Goddard, London, England michael.leftley@addleshawgoddard.com Jan Tibor Lelley, Partner, Buse Heberer Fromm, Essen Germany lelley@buse.de 4
  • 5. Presenters Speakers Angelo Zambelli, Partner, Grimaldi Studio Legale, Milan, Italy azambelli@grimaldilex.com 5
  • 6. Workplace privacy and employee monitoring: the do’s and don’ts 6
  • 7. Workplace Privacy: Spain • Conflict between employees’ fundamental right to privacy and employers’ right to business 7
  • 8. Workplace Privacy: Spain Sustaining employee rights: the Do’s • Implement company policy, i.e., inform employees: – They should expect no privacy of IT use – Random controls may be carried out • Forbid or limit employees’ private use of IT 8
  • 9. Workplace Privacy: Spain • Video surveillance: – Prior information: works council & notice – Proportionality & reasonability tests : • Limit to business needs • Limitations to storage term • Choose the least interference procedure 9
  • 10. Workplace Privacy: Spain Sustaining employee rights: the Don’ts • Unjustified controls / surveillance • Excessive or inappropriate controls/surveillance conform to the specific justifying purpose or business needs 10
  • 11. Workplace Privacy: Spain • Avoid tolerance of private use of IT by employees • In Europe, avoid infringement of Data Protection Directive: data base registration, prior information, limit to purpose, comply with law for personal data transfers to the U.S., etc. 11
  • 12. Workplace Privacy: Sweden • Employers’ right to lead and delegate work • Control employees’ e-mails? • Monitor employees’ internet activities? • Video surveillance? • Biometric identifiers? 12
  • 13. Workplace Privacy: Germany • Video surveillance • Monitoring of internet and email use • Global Positioning System (GPS) • Electronic and bio-metric access surveillance to office buildings and/or workplace 13
  • 14. Workplace Privacy: Germany • Let your employees consent! • Have a legal basis at hand for monitoring with technical devices! • Obey data privacy laws [e.g. Federal Data Protection Act – BDSG]! • Involve your works council before you start! • Involve your data privacy officer! 14
  • 15. Workplace Privacy: England & Wales • Monitoring employee use of email and internet involves processing personal data and must be in line with the Data Protection Act 1998. • Any monitoring must be for lawful purposes and must be proportionate. 15
  • 16. Workplace Privacy: England & Wales • Potentially lawful purposes include: investigating serious misconduct, health and safety and service standards. • Obligation to inform employees. • Impact assessments 16
  • 17. Workplace Privacy: Italy General principle: Ban on distance monitoring devices directly aimed at controlling the employees' work activities/performance (keystroke pattern analysis, systematic scanning and recording of e-mail messages, systematic storage of web pages visited, etc). 17
  • 18. Workplace Privacy: Italy Exceptions: • Unintentional controls (with prior works’ council agreement or labour office authorization) • Defensive monitoring (always allowed) 18
  • 19. Holding applicants and employees responsible for tweeting, blogging, and using social media 19
  • 20. Tweeting, Blogging, etc.: Germany • Differentiate between communication at work and … • Communication elsewhere • Freedom of speech as constitutional right - even at work • German labor courts are reluctant with accountability for use of social media 20
  • 21. Tweeting, Blogging, etc.: Germany • Make a social media guideline mandatory: – Prohibit private use of social media at work – Create rules for private use – if allowed – Make compliance with laws an express duty – Prohibit sharing of trade secrets and company‘s intern information – Make clear the consequences for violations (e.g., warning, termination of employment) 21
  • 22. Tweeting, Blogging, etc.: Italy • Guidelines issued by the Data Protection Authority in March 2007 • Internal policies on the use of the Internet, e-mail accounts, etc. from company devices • Use of social networks and the Internet during working hours: performance of activities other than work during work time and disciplinary consequences 22
  • 23. Tweeting, Blogging, etc.: Italy • Cases of dismissal based on social media information: they mainly relate to the misuse (or use against the company policies) of the Internet – including Facebook – during work hours 23
  • 24. Tweeting, Blogging, etc.: England & Wales • Clear policies and procedures • Acceptable use • Bullying and harassment • Employer reputation 24
  • 25. Tweeting, Blogging, etc.: Spain • Ensure implementation of appropriate company policy to: – Allow obtaining lawful evidence to use in trial – Avoid tolerance • Court decisions assess severe loss of working time as breach of duty • Importance of the test of proportionality and reasonability 25
  • 26. “Tweeting, Blogging, etc.: Sweden • Duty of loyalty • Freedom of speach • Employees working in private vs. public sector • “The high school principal” 26
  • 27. Differentiating between personal and work-related communication 27
  • 28. Communication: England & Wales • Employer reputation paramount • Can there be a legitimate expectation of privacy when using social media? • During work vs. outside of work? • Can an employer take account of private activities? 28
  • 29. Communication: England & Wales Employment reputation • In the UK, employer reputation is a key theme running through cases involving misuse of social media • Dismissals have been found to be fair where: – Email is sent to client from home computer – Derogatory comments made on Facebook – Employee involved in BDSM activities on web-unrelated to work 29
  • 30. Communication: England & Wales Expectation of privacy when using social media • Comments posted on social media sites by their nature are public • Potential readership will be relevant to the reasonableness of the sanction imposed 30
  • 31. Communication: England & Wales During work vs. outside of work • During work – Issues around unreasonable usage • Outside of work – Inappropriate private behaviour – Criticising the employer – Bullying and harassment 31
  • 32. Communication: England & Wales Private activities • An employer can take account of private activities but only in limited circumstances • Where private matters interfere with ability to carry out duties 32
  • 33. Communication: Sweden • Work equipment • Guidelines • Private vs. work-related e-mails 33
  • 34. Communication: Germany • Major distinction: is personal use of employer‘s communication tools (internet, email, smartphone etc.) allowed? • Telecommuniation privacy privilege (Telekommunikationgesetz) applicable to all personal communication • Generally no monitoring permissible if telecommuincation privacy privilege is applicable 34
  • 35. Communication: Germany • All work-related communication can be legally monitored • Telecommunication privacy privilege applicable only during transfer of data • Telecommuincation privacy privilege applicable only if information is classified as “private” 35
  • 36. Communication: Germany • Unauthorised monitoring of private communication can be considered a criminal offense (Section 206 Criminal Code, Section 202 a Criminal Code – StGB) 36
  • 37. Communication: Italy • Monitoring allowed if: – Employee uses employer-owned and controlled equipment or networks; – Employer has a clear computer use policy; – Prior agreement with works council or labour office authorization. 37
  • 38. Communication: Italy • Disclosure of company’s confidential information: balance between employee’s privacy rights and employer’s right to protect its interests. The latter prevails. • Monitoring of unlawful activity carried out by the employee – including the one perpetrated through social networks – is legitimate (defensive monitoring). 38
  • 39. Communication: Italy • Negative statements about the company: individual freedom to express one’s opinion(s). • Limit: damage of the company’s reputation (libel - defamation). 39
  • 40. Communication: Spain • At work: Unreasonable usage or inappropriate behaviour • Out of work: Protected by privacy and right to freedom of speech. Employer can interfere only if it has a relevant impact: – Interference with other employees’ fundamental rights, e.g., discrimination (race, gender, etc.) – Inappropriate behaviour having a relevant impact on employer’s business 40
  • 41. When and how background checks can include obtaining information on the Web 41
  • 42. Background Checks & the Web: Italy Ban to process information regarding the candidate that is not relevant to assess his/her professional attitude, irrespective of any written consent given: • Politics • Religion • Trade union affiliation • Any other data irrelevant for performing working activities 42
  • 43. Background Checks & the Web: Italy Exception: Organization with specific tendencies (such as religious schools or political parties), provided that the role to be assigned to the candidate is not “neutral” 43
  • 44. Background Checks & the Web: Italy • Examples of forbidden background checks: • Kinship with other employees; • Criminal records (except for specific types of activities); • Pregnancy; • Sexual orientation • Candidate's health conditions (unless relevant for performing the job functions) 44
  • 45. Background Checks & the Web: Italy • Examples of permitted background checks: • Identity of the candidate; • Previous work experience; • School/training/professional qualification; • Attitude/psychological tests 45
  • 46. Background Checks & the Web: Italy • The law permits employers to access and rely on information about an employee that is publicly available unless it relates to a protected characteristic, such as race or disability, or a protected activity, such as a union affiliation. • The same rules apply to job applicants. • Employers may not use coercion or fraudulent means to access a candidate’s social network posts or contents where the candidate has taken steps to secure the information or otherwise keep it private. 46
  • 47. Background Checks & the Web: Spain • Required justification to access private websites, particularly where access has been limited • Justification related to nature of job, particularly where health and safety are involved 47
  • 48. Background Checks & the Web: Sweden • Obtaining of information is always allowed • If the information is being kept in automated/organised files, the Personal Data Act requires the following: 48
  • 49. Background Checks & the Web: Sweden 1. Only authorities are generally allowed to keep data concerning legal offences. 2. The employee has the right to be informed of the information registered through the background check. 49
  • 50. Background Checks & the Web: Sweden 3. Consent is required for: (i) sensitive personal data and (ii) financial information that is not obtained before hiring for an executive position or a position with great financial responsibility. A weighing is always being done when there is no consent. 4. The personal data can not be kept for longer than necessary with regards to the purpose of the treatment of the data. 50
  • 51. Background Checks & the Web: England & Wales • Do employers vet online? • Risks? - discrimination • Approach, when to vet in the process, consistency, verification. 51
  • 52. Background Checks & the Web: Germany • Background check offline and online • Legal and illegal information • No transparent applicant or employee • Co-determination of works council • Review by data privacy officer 52
  • 53. Background Checks & the Web: Germany • Legal information from background checks on the web: – Any information that is work related; and – Is directly connected to the employee‘s position or for which an applicant is hired 53
  • 54. Background Checks & the Web: Germany • Illegal information from background checks on the web: – Any information that is not work-related or related to the position to which the applicant has applied – Any facts that could be used as basis to discriminate against the applicant 54
  • 55. Data protection and privacy issues 55
  • 56. Data Protection & Privacy: Sweden • The Personal Data Act • General rule: the employee’s consent is required • Weighing of interests • Sensitive personal data • Transfer of personal data within the EU/EES • Transfer of personal data to a third country • The Safe Harbour Principles 56
  • 57. Data Protection & Privacy: Spain • Restrictions to body search and search of employee’s lockers • Whistleblowing – No anonymous whistleblowing – Limited storage of data • Employee representatives’ right to certain employee information 57
  • 58. Data Protection & Privacy: Italy • Personal data: processing only with the express consent of the employee, documented in writing. • Consent not required if the processing is necessary either to comply with an obligation imposed by the law, regulations, and EU legislation or for performing obligations resulting from a contract (example: pre-contractual use of personal data for recruitment purposes). 58
  • 59. Data Protection & Privacy: Italy • Sensitive data: processing without consent provided that the Data Protection Authority allows it (general authorization no. 1/2011). 59
  • 60. Data Protection & Privacy: Germany • Federal data protection act (Bundesdatenschutzgesetz – BDSG) applicable to collecting, using, and monitoring personal data. • General rule: collecting, using and monitoring personal data is prohibited unless: – Employee consents expressly in writing – Law expressly allows it. 60
  • 61. Data Protection & Privacy: Germany • 32 BDSG provides for legal basis to collect, use, and monitor data legally at work. • Company‘s data privacy officer has to review and confirm • Works council can claim co- determination 61
  • 62. Data Protection & Privacy: England & Wales • Data Protection Act 1998 • The Employment Practices Code 62
  • 63. Please Complete Our Survey Please take a few minutes to complete the survey that should appear on your computer screen immediately following the webinar. To listen to this webinar again or to any past ELA webinars, please visit our website at: www.employmentlawalliance.com. The ELA is not authorized to give Continuing Education credit for its webinars; however, a Certificate of Attendance and supporting materials are now posted on the ELA website (click this webinar’s title; the link is on the landing page). Attendees seeking HRCI or SHRM credit should submit the materials directly to HRCI at www.hrci.org or to SHRM at www.shrm.org. 63