Data intensive businesses and POPIA
“My business processes and stores quite a large amount of
information relating to our clients. We are well aware of POPIA that has
now come into effect and have been putting basic processes in place.
However, I remain concerned that we are not doing enough/underestimating
our obligations. What should I be preparing for?”
As you
have correctly noted, the Protection of Personal Information Act 4 of
2013 (“POPIA”) has commenced with news of this reaching most businesses,
including the fact that businesses have until 30 June 2021 to get their
POPIA house in order or face the risk of being sanctioned for
non-compliance.
That said, while most businesses to some extent
process personal information, there are businesses, like yours, that
process data on a large scale. So, what does this mean for these data
intensive businesses?
The short answer is that the POPIA
obligations on businesses are generally largely the same. What differs
however is the implementation of these obligations. The reality is that
the more data you process, the more comprehensive your POPIA
implementation plan will have to be and the more resources need to be
allocated to achieving compliance before 30 June 2021. Given that
penalties for non-compliance may be quite severe, businesses that
process large quantities of data, will need to use all the time
available to ensure their POPIA compliance before the deadline, and then
similarly allocate sufficient resources to reviewing and maintaining
their compliance thereafter.
To ensure compliance a number of
actions need to be taken by a business. Such actions include, among
others: that the business have a POPIA policy; appoint a person or
persons responsible for administering the policy; and ensure that
training is provided to all relevant employees on the policy and its
implementation.
For data intensive businesses this may require
the formation of a task team with the mandate to formulate an
appropriate POPIA policy for the business. Such task team would probably
need to include legal, human resource, finance and information
technology expertise.
For a start, the task team would have to
conduct an internal audit, to assess where the business stands in
relation to the various POPIA pillars of compliance. Once the status quo
has been ascertained, the team can identify which actions are needed to
attain and maintain POPIA compliance by the business.
Next the
team would need to assess which policies, agreements and other documents
will have to be amended or developed and then implemented within the
business and its operations. Such implementation will have to provide
for training to staff on new practices, procedures and documentation.
The
task team will need to make sure that all aspects of the business is
reviewed. This will also include assessing the involvement of third
parties that you share information with or that may process information
on your behalf and that the necessary agreements or undertakings are put
in place with such third parties.
The task team will have a big
job on its hands, particularly with a business that is data intensive.
As such the team will need to move fast to have things in place by 30
June 2021, have a clear mandate and have the necessary expertise in
order to ensure that what is rolled out is appropriate, implementable
and compliant.
If your business has not yet moved aggressively on
ensuring its POPIA compliance, you would be strongly advised to do so
without delay, particularly if you process substantial information, as
the scope and complexity of your obligations can easily be
underestimated.
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