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Personal data protection policy

We value your privacy

Welcome to 得力在線 Christian Education Online

  1. Christian Edu Online [Christian Education Online] (“CEO”) (hereinafter referred to as the “CEO”) recognizes the importance of protecting personal data when processing information relating to members, worshippers, course attendees, visitors and employees, and therefore commits to fully implement and comply with the Personal Data Protection Act (the “Act”). The CEO Personal Data Protection Policy explains the procedures and systems in place to comply with the Personal Data Protection Act (the “Policy”) in relation to personal data as defined in the Act. .

    Purposes for collecting, using and disclosing personal data
  2. CEO receives or collects personal data from visitors, students and teachers.
    Whether within or outside Singapore, these purposes include the following:-
    (a) operational planning and implementation of online courses and related activities; and
    (b) communicate courses and events, programs and other relevant information, including announcements and other publications;
    (c) maintain records of courses, memberships, events and program participants;
    (d) manage faculty and student and staff relationships;
    (e) reporting and sharing information within the CEO (including our affiliated entities); and
    (f) Other purposes that are reasonably appropriate at the time the personal data are collected.
  3. CEO will not use personal data for any purpose other than that for which it was collected. If the CEO requests that any personal data held by the CEO be used for a purpose other than that for which it was originally agreed, consent will be obtained again so that the data can be used for the new purpose.
  4. In the course of processing personal data for the above purposes, CEO may disclose such personal data to third parties within or outside Singapore. These third parties include:-
    (a) Governmental organizations or authorities to which the CEO is required by law to disclose data;
    (b) individuals who are legally entitled to access the data;
    (c) third parties who require the data in order to process and operate the program in which the individual intends to participate;
    (d) third parties who provide data processing, administrative, health, insurance or legal services or other professional or management services to the CEO; and
    (e) Other persons who are reasonably appropriate in the circumstances in which the personal data were collected.
  5. Disclosure of data to third parties outside Singapore will only be made to organizations that are required or committed to process the data in a manner commensurate with the level of data protection required by Singapore law.

    Minors under 13 years old
  6. CEO shall not collect, use or disclose the personal data of minors under the age of 13 for any purpose without the written consent of a parent or guardian.

    Withdraw consent
  7. If you wish to withdraw or restrict your consent to the collection, use and disclosure of your personal data by CEO, please write to our Data Protection Officer ("DPO") using the contact details provided in paragraph 19 below.

    Confidential
  8. Any personal data collected by CEO shall be accessed by employees of CEO for the purposes for which the data was collected. These employees are expected to strictly observe confidentiality at all times.
  9. If personal data is disclosed to a third party, that third party will be required to sign an agreement requiring them to observe confidentiality at all times and to use the personal data only for the purposes for which it was disclosed.

    data protection officer
  10. The CEO has appointed a Data Protection Officer to handle day-to-day data protection matters and complaints, encourage good data processing practices and ensure the CEO complies with the Act and enforces policies. If you have any questions, complaints or concerns, please contact the Data Protection Officer using the contact details provided in paragraph 18 below.

    accuracy
  11. The CEO has appointed a Data Protection Officer to handle day-to-day data protection matters and complaints, encourage good data processing practices and ensure the CEO complies with the Act and enforces policies. If you have any questions, complaints or concerns, please contact the Data Protection Officer using the contact details provided in paragraph 19 below.

    right to use
  12. The CEO endeavors to take all reasonable steps to ensure that the personal data in its possession or control is accurate, current and complete. If there are any errors or omissions in the personal data you provided to the CEO, please write to our Chief Operating Officer and provide the necessary details to have your data corrected. If any personal data you have provided to the CEO is inaccurate, please contact our DPO to update your data.

    Data retention
  13. COO will retain personal data for as long as necessary to fulfill the purpose for which it was collected. Once the data held by the CEO is no longer required for the purpose for which it was collected, the data will be securely destroyed or anonymized.

    Protect
  14. CEO strives to securely store all personal data in its possession or control. To this end, the CEO has taken steps to ensure that data in its possession are protected against unauthorized access, collection, use, disclosure, copying, modification, disposal or other risks.

    transfer
  15. Except as provided in this policy, the CEO shall not transfer any personal data in its possession to any party outside Singapore. Any external party to which the CEO intends to transfer data held by the CEO must have equivalent protections to those provided for in the Act.

    complaint
  16. If an individual believes that their data has been processed incorrectly or inappropriately by the CEO, they may lodge a written complaint by post to the Data Protection Officer. Upon receipt of a complaint, the DPO will acknowledge receipt of the complaint in writing and contact the relevant department to investigate the complaint.
  17. The results of the investigation will be mailed to the complainant in writing by the DPO, informing him of the results.

    Inquire
  18. The CEO is committed to protecting the privacy and personal information of its members, admirers, event attendees, visitors and employees. If you have any questions about the CEO's policy, please write to the Data Protection Officer at the following address:

    Data Protection Officer
    Christian Education Online
    8 Burn Road, #09-15
    Trivex
    Singapore 369977

    Policy updates
  19. This policy may be updated from time to time to reflect changes in policy, technology and/or to ensure compliance with any laws.
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