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Field 19

Privacy Policy

Field19 Privacy Policy 

This policy details how Field19 collects, processes, stores and secures personal data. We will always aim to be clear and transparent regarding all our requests for personal data and are legally bound to only use that data for the express purpose(s) agreed at the point the data is submitted to us.


Individuals are under no obligation to share personal data with us. However, the provision of certain pieces of personal data will help us to provide the best possible service we can.


This policy was last updated in June 2021 and was designed in accordance with the EU General Data Protection Regulation (GDPR).


What is personal data?

Personal Data is anything that can be used to identify an individual directly or indirectly.

In many situations, this can be as simple as their name and contact details (such as address, phone number or email) but may sometimes include more detailed information depending on the nature of their engagement with us.


When and how do we collect personal data?

All of the following are common situations where we might request personal data from individuals:

  • When making an enquiry about one of our products or services 
  • When contracting with us
  • When signing up to our mailing lists
  • When contacting us with customer experience queries
  • When submitting an application for a job at FIELD19


We will always make it clear what data we are collecting from an individual during these transactions and why we are requesting it.


Research, surveys & interviews 

Any research we carry out will be anonymised of personal data when processing unless we explicitly request from you that this information is shared in the interest of the project. Survey data will be collected via a third party, which is subject to their own privacy policy. Responses will be anonymised and analysed by us and removed from our storage systems on completion of the project. 


Customer experience data

We may also store conversations that occur via FIELD19 email channels. These emails would be stored securely and only used to improve the customer experience and for training and monitoring purposes.

FIELD19 does not currently record or store any conversations by telephone. We may in the future decide to use call recording technologies for the sole purpose of training, monitoring and improving the overall customer experience. Should this be adopted, sensitive information (e.g. credit card information) would be completely anonymised.


Why we use personal data

We process personal data to

  • Fulfil a Contract. This sort of processing includes name, address, phone, email and credit card details and any access-specific information that a purchaser may choose to share with us      in advance of hiring equipment or attending one of our events.
  • Communicate on a Consent basis. This includes some elements of direct marketing (e.g. signing up to and having granular access to different strands of e-communication from us or using such emails to communicate additional offers/opportunities to people who have      signed up to receive them).
  • Fulfil Legal Obligations, which covers employment details and payment for those working for, with and in association with us. 
  • Convey Legitimate Interest. This reflects elements of outward facing communication which we have assessed and determined is reasonable, proportionate, clearly defined and justifiable within the scope of the GDPR.


How we use personal data

All personal data collected, processed and stored by FIELD19 is only collected with the prior notification of the scope and nature of the processing activity (i.e. how it will be used). 


In relation to the personal data listed above, this will include ‘opt in’ and/or ‘permission’ on online forms regarding mailing lists, participation sign up or the provision of details on a job application or engagement with us contractually.


Security and storage of personal data

FIELD19 operates a secure, cloud based IT system with controlled access. We also have both IT and reporting processes in place to comply with breach notification obligations to the Information Commissioner’s Office (ICO).


We have set a retention limit on personal data for when a data subject has not engaged with us after 5 years. Each year we will audit those who fall outside of this period, and either erase or anonymise that data.


The only exception to this is Employee records (which we are obliged by law to maintain for seven years).


Website data

In addition, the following data may also be collected automatically when you visit our website:

· IP address 

· Referring website (if you followed a link to get to our website) 

· Web browser and device 

· Cookies (see below) 

· Time and date of visit 

· Web pages visited 

· Geographical location


This statistical data is collected with the express purpose of aiding our understanding of the areas of interest on our site and is kept only for as long as is required for this purpose.


Cookies

A cookie is a small file which asks for permission to be placed on the individual’s device’s hard drive. If the individual agrees, the file is added and the cookie helps analyse web traffic or records when they visit a particular site. Cookies allow web applications to respond to the individual. The web application can tailor its operations to their needs, likes and dislikes by gathering and remembering information about their preferences.


At FIELD19 we use cookies to identify which pages are being used. This helps us analyse data about web page traffic and improve our website in order to tailor it to user needs. A cookie does not give us access to an individual’s computer or any information about them, other than the data they choose to share with us.


An individual can choose to accept or decline cookies. Most web browsers automatically accept cookies, but individuals can usually modify their browser setting to decline cookies if they prefer. This may prevent them from taking full advantage of the website.


All of the above are standard online identifiers which can be detected by Google Analytics – which, like many other organisations we use to monitor the activity on our website. Please visit Google Analytics Terms Of Service for further details.


Third party website links

Our website and associated electronic communications may contain links to other websites not operated or controlled by us (“Third Party Sites”). The policies and procedures detailed in this policy do not apply to such sites. FIELD19 takes no responsibility for the content or data processing activities and policies of third-party sites.


Individuals’ rights

As a Data Subject, individuals have legal rights regarding the information we hold about them

  • Access – the right to know what personal data is      being processed and how. Individuals can therefore request access to the personal data we process.
  • Rectification – the right to ask us to amend, update or correct any personal information we have
  • Portability – the right to receive their personal data held by us in a format that can be transferred to another data controller
  • Erasure – the right to be forgotten – i.e. for us to erase any personal data we possess (with the exception of employee records and records of financial transactions which are detailed in our audited accounts).


If an individual would like to request Access, Rectification, Portability or Erasure of information we hold about them, they should contact us using the details in the ‘Contact’ section at the end of this policy. The individual will need to provide us with a description of the information they would like to see, together with proof of their identity.


If they are unhappy with the way we have processed their personal data, they also have the right to lodge a complaint with the Information Commissioner’s Office.


Exclusions (legal & regulatory)

On rare occasions we may disclose Personal Data if required to do so by law in order to (for example) respond to a legal challenge, a court or government agency, or in the good faith belief that such action is necessary to:

  • comply with a legal obligation
  • protect or defend our rights in a court of law
  • protect against legal liability
  • co-operate with the Police or a regulatory or government authority investigating illegal activities


Third party contractors

In some instances, we use established and accountable third party service providers who work on our behalf for the fulfilment of a contract we enter into. Examples include:


  • Card payment processing of transactions relating to payment for consultancy services
  • Third party mailing houses, email providers (e.g. Dotmailer) and marketing agencies
  • Our website hosting
  • Third party advertisers (such as Facebook or Google)
  • Associate consultants 
  • Anyone who provides a service such as these on our behalf will enter into an agreement with us and will meet our data security standards. They will only use your data for the clearly defined service that they are providing on our behalf and are, in effect accountable in terms of complying with this policy


Only in situations where an individual has actively given consent for us to do so, we may pass on their data to partner organisations. In these instances, if they wish to opt-out of their communications in future or to request Access, Reification, Portal or Erasure of their data, they should contact the partner organisation directly.

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