[Principles 4.1.4(c), 4.2, 4.4, 4.4.1, 4.9; Subsection 8(3)]
When applying for a personal membership at a store, an individual was asked to supply the store with her driver’s licence number and date of birth. No purpose for collecting this personal information was offered, and when she later requested access to it, her request and follow-ups were ignored until this Office notified the organization about them.
The Assistant Commissioner made recommendations to the organization with regard to informing applicants about the purposes for collecting specific personal information, acceptable collections of personal information for its membership applications, and purging previously collected unique identifying numbers from its online system.
The following is an overview of the investigation and the Assistant Commissioner’s findings.
When the individual applied for membership with the store, her driver’s licence number and date of birth were recorded from her driver’s licence into the store’s electronic database. She was not told of the purpose of the collection.
On three separate occasions over a four-month period, she requested in writing access to her personal information. She received no response. Only when the organization received the formal notice of the individual’s complaint lodged with this Office did it finally provide her with a copy of her personal information. It explained that her three requests had perhaps not been properly directed by the staff who had received them. As a result of her complaint, the organization was to ensure that its front-line employees would receive training to identify and manage personal information requests.
With regard to personal information collection for membership applications, we noted that the membership application form contained a field for the number associated with a piece of ID to be supplied by the applicant, as well as one for the applicant’s date of birth. A separate field indicated that if the applicant planned to write cheques as payment, the organization required “appropriate information”. The application form did not indicate that a credit check would be performed on the individual if they were applying for the payment-by-cheque option.
The organization specified the two purposes for which it needed a customer’s unique identifier (e.g. a driver’s licence or full date of birth): 1) to detect and track fraud; 2) to perform a credit check on members who will be granted cheque-writing privileges.
(As well, the organization explained that it also collects the date of birth of applicants in order to verify that they meet the minimum age requirement. However, during our investigation, the organization agreed with this Office that merely viewing and confirming the applicant’s age from an ID card would be sufficient for that purpose.)
When we questioned the respondent about the first purpose it presented for recording a customer’s unique identifier—to detect and track fraud—it stated that it uses this number to identify individuals who have engaged in fraudulent activities in the past and to prevent them from re-applying for membership. The organization further explained that since it has a great number of customers, the unique identifier helps differentiate between those who have common names or transient addresses.
With regard to the second stated purpose for collecting unique identifiers—to conduct a credit check on customers who will be allowed to pay by cheque—this Office consulted with credit reporting agencies. They confirmed that the name and address of an individual is enough to process a credit report. A previous address may be required if the individual has been at their current address for less than three years. On the other hand, a driver’s licence number is not required to perform a credit check and may not even be useful for this purpose. However, a previous finding from this Office determined that organizations may collect a date of birth for the purpose of obtaining credit reports from credit reporting agencies; this information is useful in verifying common names.
Issued May 29, 2009
Application: Principle 4.1.4(c) states that organizations shall implement policies and practices to give effect to the principles including training staff and communicating to staff information about the organization’s policies and practices. Principle 4.9 stipulates that upon request, an individual shall be informed of the existence, use, and disclosure of his or her personal information and shall be given access to that information. Subsection 8(3) provides that an organization shall respond to a request with due diligence and in any case not later than thirty days after receipt of the request. Principle 4.2 states that the purposes for which personal information is collected shall be identified by the organization at or before the time the information is collected. Principle 4.4 provides that the collection of personal information shall be limited to that which is necessary for the purposes identified by the organization. Finally, Principle 4.4.1 states that organizations shall not collect personal information indiscriminately. Both the amount and the type of information collected shall be limited to that which is necessary to fulfill the purposes identified.
In making her determinations, the Assistant Commissioner deliberated as follows:
The Assistant Commissioner recommended that the respondent:
The organization agreed to the recommendations concerning membership applications. It was also committed to updating its company privacy statement to inform individuals of the collection of partial date of birth information for fraud-prevention and -detection purposes, and—for those opting for cheque-writing privileges—of the collection of full date of birth for both credit-check and fraud-deterrence purposes.
The Assistant Commissioner concluded that the matters were resolved.