The credit union will provide routine account information, such as copies of recent statements, recent transaction slips, and account agreements, upon request to the individual entitled to receive the information. The credit union will charge its standard fee(s), in accordance with its standard fee schedule, for providing the information.
The credit union will provide non-routine account information after receiving and reviewing a written request (an “Access to Information Request”). The individual making the Access to Information Request must provide adequate proof of his or her identity, and sufficient information to allow the credit union to locate the requested information.
The credit union will direct an inquiry about non-routine account information and/or an Access to Information Request to the Privacy Officer. The Privacy Officer will provide assistance to an individual making an Access to Information Request. The Privacy Officer will respond to all Access to Information Requests, including any refusal to provide information in whole or in part.
Where the credit union provides account information routinely (e.g., account statement) or because of a routine request, and the account information is inaccurate, the individual can provide the correct information and request that the credit union correct its records. Such requests can be made orally or in writing. If necessary, the credit union will refer the request to the Privacy Officer.
Where the credit union provides account information because of an Access to Information Request, and the account information is inaccurate, the individual can request that the information be corrected by making a written request (a “Correction of Information Request”). A Correction of Information Request will be reviewed by the Privacy Officer.
Restricting access
The credit union will provide information under an Access to Information Request subject to the restrictions set out in this section and under the privacy legislation.
The credit union will not disclose information that it is prohibited from disclosing and that is not required or authorized to disclose, including information that:
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Contains the personal information of another individual who has not consented to such disclosure of his or her personal information;
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Could threaten the safety or health of either the requesting individual or a third party;
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Would reveal personal information about another individual;
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Would threaten the life or security of another individual;
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Cannot be disclosed for legal, security, or commercial proprietary reasons; or
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Is subject to solicitor-client or litigation privilege.
However, if the credit union is able to sever information that it is prohibited from disclosing and that is not required to be disclosed from its response to the requesting individual, it will do so. If the credit union refuses a request for access to personal information in whole or in part, the Credit Union’s response to the Access to Information Request will provide the reasons for refusal and provide the name, position/title, address, and telephone number of the Privacy Officer of the credit union who can answer the individual’s questions about the refusal. The credit union may refuse to confirm or deny the existence of personal information collected as part of an investigation.
The Privacy Officer will review any situations where the credit union refuses to disclose the requested information in whole or in part due to the reasons set out above and can consult with the Corporate Solicitor.
Response time
The Privacy Officer will respond to an Access to Information Request within 30 days. If additional time is required to provide the requested information, the Privacy Officer may extend the time to respond by up to an additional 30 days, subject to providing a written notice containing the required information to the individual who made the Access to Information Request.
If an extension of more than 30 days is required, the Privacy Officer will consult with the Board of Directors or the CEO's Office before making an application for approval to the Privacy Commissioner.
The credit union will correct inaccurate account information as soon as is reasonable after being notified, whether notification is through a Correction of Information Request or otherwise.
Cost of response
The credit union will charge a minimal fee in accordance with its fee schedule for providing information under an Access to Information Request. The credit union will provide an estimate of the fee to the individual making the Access to Information Request. The credit union will not proceed with processing the Access to Information Request unless the individual agrees to the fee estimate. The credit union may require a deposit for all or part of the fee.
The credit union will not charge for correcting information, whether a Correction of Information Request is received or not.