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comment | "parent_author":"",<br>"parent_permlink":"data",<br>"author":"phdmoon",<br>"permlink":"personal-data-code-of-fair-information-practices",<br>"title":"Personal Data - Code of Fair Information Practices",<br>"body":"![ (https:\/\/steemitimages.com\/DQmRLQApubLTQbraK4bvAGn1W5PRuLQtxxzXGmExpyDM3nN\/image.png)\n\nSharing directly from the Code of Fair Information Practices (1973,<br> revised 1980).\n\nCollection Limitation Principle \nThere should be limits to the collection of personal data and any such data should be obtained by lawful and fair means and,<br> where appropriate,<br> with the knowledge or consent of the data subject\n\nData Quality Principle \nPersonal data should be relevant to the purposes for which they are to be used,<br> and,<br> to the extent necessary for those purposes,<br> should be accurate,<br> complete and kept up-to-date. \n\nPurpose Specification Principle \nThe purposes for which personal data are collected should be specified not later than at the time of data collection and the subsequent use limited to the fulfilment of those purposes or such others as are not incompatible with those purposes and as are specified on each occasion of change of purpose. \n\nUse Limitation Principle \nPersonal data should not be disclosed,<br> made available or otherwise used for purposes other than those specified in accordance with Paragraph 9 except: \n a. with the consent of the data subject; or \n b. by the authority of law. \n\nSecurity Safeguards Principle \nPersonal data should be protected by reasonable security safeguards against such risks as loss or unauthorized access,<br> destruction,<br> use,<br> modification or disclosure of data. \n\nOpenness Principle \nThere should be a general policy of openness about developments,<br> practices and policies with respect to personal data. Means should be readily available of establishing the existence and nature of personal data,<br> and the main purposes of their use,<br> as well as the identity and usual residence of the data controller. \nIndividual Participation Principle An individual should have the right: \n a. To obtain from a data controller,<br> or otherwise,<br> confirmation of whether or not the data controller has data relating to him; \n b. To have communicated to him,<br> data relating to him \n o within a reasonable time; \n o at a charge,<br> if any,<br> that is not excessive; in a reasonable manner; and \n o in a form that is readily intelligible to him; c. \nTo be given reasons if a request made under subparagraphs(a) and (b) is denied,<br> and to be able to challenge such denial; and d. To challenge data relating to him and,<br> if the challenge is successful to have the data erased,<br> rectified,<br> completed or amended. \n\nAccountability Principle A data controller should be accountable for complying with measures which give effect to the principles stated above. \n\nCan these principles be upheld in a Blockchain distributed ledger environment? \n\n@phdmoon",<br>"json_metadata":" \"tags\":[\"data\",<br>\"ledger\",<br>\"information\",<br>\"privacy-blog\",<br>\"health-data\" ,<br>\"users\":[\"phdmoon\" ,<br>\"image\":[\"https:\/\/steemitimages.com\/DQmRLQApubLTQbraK4bvAGn1W5PRuLQtxxzXGmExpyDM3nN\/image.png\" ,<br>\"app\":\"steemit\/0.1\",<br>\"format\":\"markdown\" " | vote | "voter":"phdmoon", "author":"phdmoon", "permlink":"personal-data-code-of-fair-information-practices", "weight":10000 |
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