UNCLASSIFIED
Privacy Policy
November 2018
Version 2.3
UNCLASSIFIED
Revision history
Version
Date
Author
Description of changes
1.0
Creation
2.0
Annual review
2.1
August 2017
Viv Ching
Contact details amendment
2.2
October 2018
Lee Patton
Review and updates to:
Template
Definitions
Accountabilities and
responsibilities
2.3
November 2018 Kristina Nelson
Definition MBIE People (Post
P&P Committee)
Privacy Policy
2
Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive
UNCLASSIFIED
MBIE Guiding Principles Relevant to This Policy
The Privacy Policy aligns with the MBIE guiding principles of: ensuring a healthy, safe and
secure environment; being a good employer; acting with or complying with the law and
legislation; and protecting organisational reputation.
Purpose
The Ministry of Business, Innovation and Employment (MBIE) must maintain the trust and
confidence of individuals who provide it with their personal information. The purpose of this
policy is to ensure that appropriate policies, processes and systems are in place to manage
personal information, in line with government, public, and individual expectations, and protect
the privacy of individuals.
The legitimate and safe use of the personal information it holds will enable MBIE to improve
productivity and business performance, in order to
Grow New Zealand for All.
Scope
This policy applies to all:
MBIE people – including permanent staff, temporary staff, and contractors
third-party service providers who support MBIE to deliver services to staff, customers,
clients, and stakeholders
the personal information that MBIE collects, uses, accesses, shares, stores and disposes of.
Help
Advice and guidance on privacy at MBIE, and managing personal information, is available from
the Privacy Team. Contact: [email address]
Policy statements
1. MBIE will demonstrate the appropriate standards of care required to ensure that
individuals trust it with their personal information.
2. MBIE will be transparent about how it collects, uses, accesses, shares, stores and disposes
of the personal information in its care. It will use informed consent wherever possible, to
realise the benefits from information while protecting the privacy of individuals.
3. MBIE will maximise the value of the personal information it holds to deliver better public
services and improved outcomes for New Zealanders.
4. MBIE will make the personal information it holds available externally to the maximum
extent permissible to deliver better public services and improved economic outcomes for
New Zealanders.
5. MBIE will promote innovation by combining personal information from internal and
external sources, using and sharing this as appropriate, to increase its services’ efficiency
and effectiveness.
Privacy Policy
3
Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive
UNCLASSIFIED
6. MBIE will foster a culture of continuous improvement by having a consistent approach for
managing privacy-related business performance and events, and by sharing experiences,
failures, successes and best practices.
Definition of terms
Data &
the recognised individual who is accountable for a data or information asset
Information
on behalf of MBIE. The steward ensures the data or information asset is
Steward:
trusted and reliable and remains fit for purpose as organisational needs and
outcomes change over time. Data stewards are responsible for ensuring
policy and legislative requirements are met. A steward will often delegate
the operational responsibility for information assets to a custodian.
MBIE people:
all staff, secondees and contractors, employed or engaged on any basis by
the Ministry, whether they are casual, temporary or permanent, whether
full time or part time and whether they are located in New Zealand or in any
other country, and who have access to any personal information MBIE
holds.
Privacy event:
where MBIE (including our contractors and third party service providers)
fails to manage personal information in accordance with MBIE's privacy
processes and standards. Includes all privacy breaches (where personal
information is wrongly collected, used, accessed, disclosed, kept or
withheld) and potential privacy breaches (‘near misses’) (where an action
could have resulted in a breach, but the breach does not occur).
Personal
any information about an identifiable individual.
information:
Key accountabilities and responsibilities
The operating concept for managing privacy at MBIE (including formal compliance and
management practices) is based on business unit responsibility for information collection, use
and access, information storage and subsequent management (including disposal). This
reflects the diversity of business activities and customer groups across MBIE. This delegated
model is, however, to be managed within a MBIE-wide framework of information management
(including using information effectively to achieve MBIE’s full range of organisational
objectives), security, reporting and response, and consistent communication with customers.
Role
Description of responsibility
Chief Executive
Accountable for the Privacy Policy.
SLT as the
Wellbeing, Provides strategic direction and leadership to ensure MBIE is a
Health, Safety, and safe and secure environment for our people, customers and
Security
Governance information.
Committee
Policy and Procedures Considers and endorses MBIE’s Privacy Policy in accordance with
Sub-Committee
Internal Policy requirements.
DCE, CGI
Provides leadership on the SLT for privacy and oversight of the
delivery of the privacy programme.
Privacy Policy
4
Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive
UNCLASSIFIED
DCEs
Ensure enterprise privacy risk is assessed within their Groups and
for each Branch in their responsibility.
Ensure Data Stewards and Custodians meet their responsibilities.
Managers
Use personal information legitimately and safely to deliver MBIE’s
services effectively and efficiently.
Promote innovation by combining personal information from
internal and external sources, using and sharing this as
appropriate to improve the quality and performance of MBIE’s
services.
Reinforce MBIE’s commitment to use and share personal
information.
Ensure MBIE people are appropriately trained on how to handle
personal information, including raising issues and reporting
events.
Ensure all legal requirements and Ministry-wide policies are
complied with when personal information is used and shared
within MBIE or other organisations.
All MBIE people
Ensure personal information is managed in accordance with MBIE
policies, processes and systems, and practices.
Maintain the integrity, accuracy and confidentiality of personal
information they deal with.
Respond to requests for access and correction made by
individuals.
Identify privacy events and report these to their manager.
Chief Legal Advisor
The Chief Legal Advisor is MBIE’s Chief Privacy Officer
.
Responsible for MBIE’s relationships with the Government Chief
Privacy Officer and the Privacy Commissioner.
Accountable for the delivery of the Privacy Programme.
Ensure appropriate and thorough incident management in the
event of a significant privacy breach.
Privacy Steering Group
Provides oversight, guidance, support and direction to the privacy
programme and strategic advice on privacy-related matters facing
MBIE.
Oversight of the Privacy Programme, including delivery of
programme initiatives to ensure it is meeting plans and
objectives.
Agree programme priorities and approve the programme’s
planned activities to enhance MBIE’s personal information
Privacy Policy
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Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive
UNCLASSIFIED
management capability.
Assist the Privacy Officer with decision-making in relation to the
programme, including advice and direction to the Privacy Officer
to identify and overcome barriers to the successful integration of
privacy into business activities.
Recommend for approval to the Wellbeing, Health, Safety, and
Security Governance Committee components of the MBIE-wide
privacy framework.
Promote good privacy practices and facilitate engagement with
the privacy programme within the members’ business groups.
Provides leadership in relation to strategic privacy and related
matters, (eg information sharing, privacy legislative reform)
arising outside of the privacy programme.
Privacy Working Group
Promote the Privacy Policy, standards, and guidance for personal
information management.
Support the privacy function goals amongst business groups at
every opportunity
Encourage a positive, learning-from-experience privacy culture at
every opportunity
Share and discuss examples or elements of good privacy practice
developed or undertaken in the business units
Identify and raise opportunities for improving privacy-related
business processes
Provide constructive advice to the privacy programme and
function during the development of programme deliverables and
function activities
Provide an active conduit between the business and the privacy
function, including identifying critical business group stakeholders
who need to be engaged on privacy matters
Report on the business impact of privacy programme initiatives
and function activities
Oversee the ‘lessons learned’ process arising from privacy
incidents, to ensure rapid dissemination of learnings, and to
underpin the development of a positive, learning culture around
privacy incidents.
Project Business
Ensure Privacy Impact Assessment Framework is applied to
Owners
projects in their responsibility.
Approve Privacy Threshold Assessments and Privacy Impact
Assessments (if required) for projects in their responsibility.
Steward/Owner
Recognised as having the authority and accountability under the
policy for the collection of information on behalf of MBIE. The
steward defines the information asset requirements of the
agency, including ongoing management requirements.
Privacy Policy
6
Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive
UNCLASSIFIED
Custodian/Caretaker
Responsible for implementing and maintaining information assets
according to the rules set by the steward to ensure proper quality,
security, integrity, correctness, consistency, privacy,
confidentiality and accessibility.
Procedures
The following business activities support the Privacy Policy by establishing organisation-wide
standards for managing personal information and privacy issues:
personal information collection
personal information requests
personal information correction
complaints
privacy events
third party arrangements
business process changes (Privacy Impact Assessments)
staff personal information standard
Business processes and procedures must be consistent with MBIE standards and standard
processes for these business activities.
Related MBIE policies and documents
Code of Conduct
Security Policy
Records Management Policy
ICT Acceptable Use Policy
Risk Management Policy
Official Information Act Requests Policy
Social Media Policy
Data merging framework
Inter-agency data sharing framework
Intra-agency data sharing framework
Relevant legislation and regulations
Privacy Act 1993 [refer section 6 for the 12 Information Privacy Principles]
Official Information Act 1982
Public Records Act 2005
Privacy Policy
7
Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive
UNCLASSIFIED
Some legislation provides specific obligations for MBIE in relation to privacy that modify or
apply in addition to Privacy Act obligations, for example, the Immigration Act 2009. These must
also be considered by managers. For MBIE operations overseas, local privacy laws will also be
relevant.
Measures of success
MBIE will measure the success of this policy when it identifies:
an increase in privacy maturity, as rated by the annual Privacy Maturity Assessment
Framework self-assessment and report to the GCPO
an increase in trustworthiness, as measured by the annual Privacy Survey
a reduction in harm – as measured by a decrease in customer complaints and negative
findings
that personal information requests are recorded and responded to within legally required
timeframes.
Consultation processes in developing or reviewing this policy
This policy was developed as a result of an external review of MBIE’s Privacy Programme,
where key stakeholders across the organisation were interviewed to determine privacy
awareness and planned work.
This policy will be reviewed every three years, or as necessary where there is a significant
change in MBIE’s strategic direction or organisational responsibilities, or where there is a
significant change to the vision for privacy at MBIE or Privacy Programme.
Key stakeholders for consultation on the Privacy Policy include:
MBIE’s Chief Information Officer.
Head of Protective Security.
Chief Data and Information Officer.
Members of the Privacy Working Group.
The Privacy Steering Group will review the Policy, be consulted on any major amendments,
and endorse updates to the Policy for approval prior to amendments progressing through
policy approval processes under the MBIE
Internal Policy Requirements.
Compliance management
Compliance management process
The multi-tiered governance arrangements provide oversight of privacy matters, to support
compliance with this policy.
Breaches of this policy will be managed through the Manage privacy event process. These are
held in a central register under the responsibility of the Chief Privacy Officer.
Standard processes and guidance issued under this policy will be made available on The Link.
Refer to Privacy processes for more information.
These tools will help ensure compliance with this policy and related mandatory procedures, as
well as identifying trends and risks so they can be managed appropriately.
Compliance reporting and information
Privacy Policy
8
Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive
UNCLASSIFIED
Compliance information regarding the performance of this policy will be provided to Risk and
Compliance on a quarterly basis.
Training and communications
A course providing an overview of privacy at MBIE is available to all staff through Learn@MBIE.
Completion of this course is mandatory for new staff and contractors through the
Induction
Learning Pathway and is available for existing staff for on-going ‘refresher’ training. Courses in
security, records management, and responding to information requests also support personal
information management practices.
Role-specific training to support staff, contractors and third-party service providers to manage
privacy issues arising in their work should be provided by business units.
Policy, standard processes and guidance information is available on the Intranet. The Privacy
Programme implements a communications plan that establishes regular communications of
key issues via the Intranet and other channels. Where possible, key messages will align with
messages from related functions, and/or linked to messages from the GCPO.
Privacy Policy
9
Author: Principal Adviser, Privacy
Issue date: 2018
Owner: Chief Privacy Officer
Next review date: 2021
Approver: Chief Executive