The below screening questions should be used to find out if a DPIA is necessary.
If you answer “Yes” to any of the questions below, it is an indication that a DPIA is required so please contact information.governance@york.gov.uk for advice and support on completing a DPIA
Please send your completed form to information.governance@york.gov.uk
Title/Reference |
Supplementary Planning Documents Prioritisation |
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Brief description |
SPDs add detail to the policies of the Local Plan. This paper will decide the priority of SPDs to be produced to support planning policies, including the likely scope to be covered and the resources necessary for their production. When drafted, each SPD will be reported to Executive separately for further consideration, including requirements for citywide consultation. |
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Screening completed by |
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Name |
Alison Cooke |
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Job Title |
Head of Strategic Planning Policy |
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Department |
Planning |
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Review date |
02.05.2024 |
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Screening Question//s – please answer the below questions for how you are planning to or already do use, personal identifiable information eg personal data, special categories of personal data or criminal offence and conviction data |
Yes or No |
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1 |
Use systematic and extensive profiling or automated decision-making to make significant decisions about people. |
No |
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2 |
Process special category data or criminal offence data on a large scale. |
No |
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3 |
Systematically monitor a publicly accessible place on a large scale. |
No |
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4 |
Use new technologies, innovative technological or organisational solutions. |
No |
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5 |
Use profiling, automated decision-making or special category data to help make decisions on someone’s access to a service, opportunity or benefit. |
No |
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6 |
Carry out profiling on a large scale including evaluation or scoring |
No |
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7 |
Process biometric or genetic data. |
No |
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8 |
Combine, compare or match data from multiple sources. |
No |
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9 |
Process personal data without providing a privacy notice directly to the individual and/or other processing involving preventing data subjects from exercising a right or using a service or contract. |
No |
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10 |
Process personal data in a way which involves tracking individuals’ online or offline location or behaviour or other systematic monitoring |
No |
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11 |
Process children’s personal data for profiling or automated decision-making or for marketing purposes, or offer online services directly to them. |
No |
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12 |
Process personal data which could result in a risk of harm in the event of a security breach. |
No |
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