2016-2017 Annual Report to Parliament on the Privacy Act

Introduction

The Privy Council Office (PCO) reports directly to the Prime Minister and is headed by the Clerk of the Privy Council and the Secretary to the Cabinet. PCO is both the Cabinet secretariat and the Prime Minister’s source of public service advice across the entire spectrum of policy questions and operational issues facing the Government. As the hub of non-partisan, public service support to the Prime Minister, Cabinet and its decision-making structures, PCO ensures that the Government and Canadians are served by the highest quality public service.

PCO also provides support to the Prime Minister in his capacities as Minister of Youth and Minister of Intergovernmental Affairs, in addition to the Leader of the Government in the House of Commons and the Minister of Democratic Institutions.

PCO has three main roles:

  • PM and Ministers of the portfolio - To deliver analysis, advice and support to the Prime Minister and Ministers of the Portfolio in: setting and implementing the government’s agenda; establishing the institutions, mandates and accountabilities of government; forming and leading the Cabinet; conducting intergovernmental and international relations; safeguarding national security; and communicating with Canadians. This includes:
    • Bringing together non-partisan advice, analysis and information from across the Public Service;
    • Consulting and collaborating with international and domestic partners inside and outside of government (including provincial and territorial governments);
    • Supporting and advising on the development and implementation of the Government’s Parliamentary and legislative programs; and
    • Advising on Canada’s Westminster style of government, on government structure and organization, and on Governor in Council appointments.
  • Secretariat to the Cabinet - To act as secretariat to the Cabinet and its committees in: conducting its deliberations; formulating its recommendations; and making and implementing decisions. This includes:
    • Managing the Cabinet’s decision-making system;
    • Coordinating departments’ policy and legislative proposals to cabinet, with supporting policy analysis; and
    • Preparing Orders in Council and other statutory instruments to give effect to Government decisions.
  • Public Service Leadership - To lead and renew the public service in: advising the government; implementing its agenda; and delivering services and results to Canadians. This includes:
    • Managing the recruitment and appointment process for senior positions in federal departments and agencies;
    • Guiding policy on people management issues and public service renewal; and
    • Building the capacity of the public service to meet emerging challenges and changing responsibilities of government.

This is the 34th Annual Report to Parliament on the administration of the Privacy Act (PA) by PCO, submitted as required by s. 72(1) of the PA. This report covers the reporting period of April 1, 2016 to March 31, 2017.

Additional copies of this report may be obtained from:

Access to Information and Privacy Division
Privy Council Office
55 Metcalfe Street, Room 1500
Ottawa, Ontario K1A 0A3

Highlights

  1. In the 2016-2017 fiscal year, the volume of privacy requests received significantly increased to 43 requests, up from 15 in 2015-2016, and 10 in 2014-2015. This is the second highest number of requests received in the last ten years.

  2. PCO closed 41 requests in 2016-2017. All 41 requests met the statutory deadline for completion.

Access to Information and Privacy (ATIP) Division

The PA protects the privacy of personal information held by the Government of Canada. The PA ensures the protection of that information against unauthorized use and disclosure, and provides individuals with the right of access to, and a means to correct, their personal information.

The ATIP Division is the focal point for access to information and privacy within PCO. The Division is responsible for managing requests for departmental or personal information, ensuring corporate understanding and compliance with the Access to Information Act (ATIA) and the PA, and fostering corporate awareness of access and privacy rights and responsibilities. On matters of access and privacy, the ATIP Division also acts as a primary liaison with the Office of the Information Commissioner (OIC), the Office of the Privacy Commissioner (OPC), the Treasury Board of Canada Secretariat (TBS), and partner departments.

The ATIP Division has a personnel complement of approximately 21.66 full-time equivalents (FTEs) that are organized into two areas of responsibility. The two areas of responsibility are organized as follows:

  1. 1) ATIP Operations (15.24 FTEs)
    • Processes privacy requests;
    • Oversees the collection and release of personal and/or business information; and
    • Provides expertise in privacy policy;
    • Researches trends and best practices in privacy; and
    • Develops and delivers ATIP training programs.
       
  2. 2) Client Services (6.42 FTEs)
    • Organizes training and develops promotional products;
    • Coordinates responses to Parliamentary questions and petitions on behalf of PCO; and
    • Provides database administration.

Monitoring compliance

In order to meet the legislative deadlines for privacy requests, the timelines of individual requests are strictly monitored. Regular meetings and various reports are used to ensure all requests are on track to meet the deadlines. Given our delegation orders (described in the next section), PCO ATIP works very closely with our OPIs to ensure tasking and signoff timelines are respected.

Privy Council Office delegation orders

The Minister heading each government institution is responsible for the implementation of the PA within his or her institution. The Prime Minister, as the Head of the Privy Council Office and pursuant to s. 73 of the PA, is responsible for the implementation of the PA within PCO. Through PCO’s delegation order, the Prime Minister designated the Director, Access to Information and Privacy (ATIP), as the individual within PCO to perform the powers, duties, functions, or administrative tasks pertaining to the PA. PCO Secretariats, or Offices of Primary Interest (OPI), holders of the information identified in a privacy request, approve the release of information to requesters and application of exemptions or exclusions and supporting rationales. This shared delegation of authority for the disposition of information is exercised diligently within PCO, and recorded formally at appropriate stages in the process. The PCO delegation orders are shown at Appendix A.

Education and training activities

PCO promotes ATIP requirements and best practices in face-to-face meetings, presentations, special events, learning products, on the intranet and through its training program. It fosters strong working relationships with clients, and operates under clearly established timelines and procedures.

In 2016-2017, PCO delivered ATIP training or awareness sessions to 233 employees through a total of 10 training events during the reporting year. The majority of these training sessions provided an overview of ATIP to internal secretariats, as well as delivering insight on the process and the application of exemptions.

To promote understanding of access and privacy responsibilities, the PCO Executive Committee was provided with a summary of access and privacy statistics, performance and compliance. The Director of ATIP maintained regular contact with senior staff in the Department, and ATIP senior staff met with senior officials in PCO Secretariats to clarify roles and strengthen working relationships. Throughout 2016-2017, PCO ATIP analysts liaised with clients to explain the five-stage request timeline, train on processes such as the search for records, assist with records review, and explain their working role.

PCO personnel are provided with multiple channels to information on access and privacy, such as instructional ATIP handouts, an e-mailbox for questions, takeaway learning tools, and comprehensive and educational electronic content on PCO’s intranet.

Other activities

a) General operations

PCO ATIP provides support to requesters not captured by statistics. For example, routine inquiries about privacy and personal information matters are received which, whenever possible, are treated informally and to the satisfaction of the requesters. In addition, PCO receives privacy requests from applicants who assume the institution holds all government information of a personal nature, or whose requests should be addressed to provincial governments. In these cases, a letter to the requester is written explaining the nature and role of PCO and the privacy application process. On a case-by-case basis, the requester is referred to the appropriate federal authority for more information.

b) Data matching and sharing

For the 2016-2017 reporting period, PCO did not establish any new systems or processes which led to data matching or sharing of personal information, either within the Department or with any external sources. The Department was not involved in any data matching activities.

Privacy-related policies, guidelines, and procedures

a) Transitioning to an electronic office

As part of the Destination 2020 plan, which advocates for green government operations and a paperless office, PCO introduced new electronic processes in the 2016-2017 fiscal year. Internal processes which were previously paper based are now completed electronically. This includes tasking internal OPIs. This was implemented near the end of the fiscal year (in March 2017). The new electronic practice will reduce the use of printing resources, while increasing employee efficiency.

Material Privacy breaches

No Material Privacy breaches occurred during the 2016-2017 reporting period.

Interpretation of the Statistical Report

Part 1− Requests under the Privacy Act

Between April 1, 2016 and March 31, 2017, PCO received 43 requests for personal information under the PA, compared to 15 received the previous year. This represents a volume increase of 186% from 2015-2016.

Figure 1: Volume of requests by year
Text version
2007-2008
2008-2009
2009-2010
2010-2011
2011-2012
2012-2013
2013-2014
2014-2015
2015-2016
2016-2017
7
13
4
10
11
18
75
10
15
43

Part 2 − Requests closed during the reporting period

2.1 Disposition and completion time

In 2016-2017, PCO completed 41 requests for personal information under the PA. The disposition of completed privacy requests was as follows:

  • 2 disclosed in part; and
  • 39 requests where no records exist.

No privacy requests closed by PCO were all disclosed, all exempted, all excluded, abandoned, or neither confirmed nor denied.

Only 2 requests remained active and were carried over into 2017-2018.

In 2016-2017, 39 requests, or 95% of all requests, were completed in 30 days or less. There are certain circumstances in which a privacy request may require more than 30 days to complete, such as the necessity to consult with external organizations or to solicit legal advice. During the reporting year, only 2 requests were completed in the 31 to 60 day time frame.

2.2 Exemptions

There are instances where information qualifies for necessary protection under the PA. In 2016-2017, exemptions were invoked for the following number of requests:

  • 1 under s. 22.1 – information obtained by the Privacy Commissioner;
  • 1 under s. 25 -- Safety of individuals;
  • 2 under s. 26 – information about another individual; and
  • 1 under s. 27 – information subject to solicitor-client privilege.

2.3 Exclusions

The PA does not apply to certain publicly available information described by s. 69(1) and s. 69(2) of the PA, or to confidences of the Queen’s Privy Council for Canada pursuant to s. 70(1). During this reporting period, no exclusions were cited.

2.4 Format of information released

As of March 2015, PCO provides electronic responses on a CD at the requester’s request and for records totalling more than 125 pages. Requesters have the option of receiving their response by mail or picking it up in person. In 2016-2017, PCO gave paper copies of relevant documents to requesters for 2 privacy requests for which records existed. No electronic copies were given.

2.5 Complexity

2.5.1 Relevant pages processed and disclosed

In 2016-2017, the disposition of all requests for which records existed was disclosed in part. In total, 217 pages were processed, of which 171 pages were disclosed. This equates to a release rate of 78%, up one percentage point from last fiscal year when 2850 pages were processed and 2186 pages were disclosed.

2.5.2 Relevant pages processed and disclosed by size of requests

Of the 2 requests for which records existed and were disclosed in part, 1 had less than 100 pages to process. The other request fell into the 101-500 page range.

It should be noted that the number of pages is not an accurate measure of the complexity of a privacy request, or the resources required to process it. The personal information held by PCO receives thorough, comprehensive review and consultation when appropriate prior to release, efforts that are often disproportionate to the volume of records.

2.5.3 Other complexities

The complex interdepartmental nature of information in many records under the control of PCO often necessitates external consultations and legal advice. This requirement is the principal reason why some requests take an extended length of time to process. During the reporting year, both requests involved interwoven information, i.e., personal information about another individual that was blended or intermixed with the personal information of the requester. Additionally, one request required legal advice. Note that totals correspond to the number of requests and not to the number of complexities relating to a request.

2.6 Deemed refusals

During the 2016-2017 fiscal year, all 41 requests that were closed met the statutory deadline for completion.

2.7 Requests for translation

The PA states at s. 17(2) that “where access to personal information is to be given under this Act and the individual…requests that access be given in a particular one of the official languages of Canada, (a) access shall be given in that language, if the personal information already exists; and (b) where the personal information does not exist in that language, the head of the government institution…shall cause it to be translated or interpreted… if it would enable the individual to understand the information”. During this reporting period, there were no translations requested.

Part 3 − Disclosures under s. 8(2)

The PA sets out specific circumstances at s. 8(2) in which government institutions may disclose personal information without the individual’s consent. S. 8(2)(e) of the PA permits the disclosure of personal information “to an investigative body specified in the regulations, on the written request of the body, for the purpose of enforcing any law of Canada or a province or carrying out a lawful investigation, if the request specifies the purpose and describes the information to be disclosed.” No disclosures were made by PCO under sections 8(2)(e) and 8(2)(m) of the PA during the reporting period.

Part 4 − Requests for correction of personal information and notations

The PA specifies at s. 12(1) that any Canadian citizen or permanent resident of Canada has a right to and shall, on request, be given access to any personal information about the individual found in a personal information bank and personal information under the control of a government institution. An individual should be entitled to correction of personal information where there is an error or omission, a request that a notation be attached, and assurance that any party who has requested the information within the last two years be notified of the correction and make changes to their copies. There were no requests for correction of personal information and notations made during the reporting period.

Part 5 − Extensions

5.1 Reasons for extensions and disposition of requests

The PA provides for extensions to the legislated 30-day time limit, for consultations or if meeting the original time limit would unreasonably interfere with the operations of the government institution. In the 2016-2017 fiscal year, PCO took two extensions to accommodate operations under s. 15(a)(i). Of the two cases where extensions were taken all were disclosed in part.

5.2 Length of extensions

Both extensions taken by PCO were between 16 and 30 days.

Part 6 − Consultations received from other institutions and organizations

PCO received 5 privacy consultations from other government institutions in the 2016-2017 fiscal year, totalling 11 pages. No consultations were received from other organizations. This number is equal to the 5 consultations received last fiscal year, as shown in the chart below. The processing of consultation requests requires resources at a level similar to the processing of privacy requests.

Figure 2: Privacy consultations received, by year
Text version
2007-2008
2008-2009
2009-2010
2010-2011
2011-2012
2012-2013
2013-2014
2014-2015
2015-2016
2016-2017
4
11
12
9
10
7
1
2
5
5

Of the five consultations received in 2016-2017, 3 were completed in 1 to 15 days, 1 was completed in 16 to 30 days, and 1 was completed in 31 days. Three of these requests were all disclosed, and 2 were

disclosed in part.

Part 7 − Completion time of consultations on Cabinet confidences

As reported at Part 2.3, no exclusions were cited this fiscal year.

Part 8 – Complaints and investigations

8.1 Complaints received

In 2016-2017, PCO did not receive any complaints.

8.2 Types of complaints

In 2016-2017, PCO did not receive any complaints.

8.3 Investigations

In 2016-2017, there were 2 investigations initiated by the Office of the Privacy Commissioner related to the collection and use of personal information. Both investigations are ongoing.

Part 9 − Privacy Impact Assessments (PIAs)

PCO completed 2 Privacy Impact Assessment (PIA) during the 2016-2017 reporting period. One PIA was in regard to the Prime Minister’s Youth Council online application process. The second PIA was in regard to the iPhone deployment process.

Part 10 − Resources related to the Privacy Act (PA)

In the 2016-2017 reporting period, the total salary costs associated with administering the PA were $70,156, up $32,517 from the previous year, and overtime costs were $2,721. No specific goods and services costs were attributed to the application of the PA. Total cumulative costs amounted to $72,877, an increase of $32,187 from 2015-2016.

The associated person-year resource utilization for the 2016-201 reporting period was approximately 0.19 full-time equivalents (FTE).

Figure 3: Person-Year Utilization (FTEs)
Text version
2008-2009
2009-2010
2010-2011
2011-2012
2012-2013
2013-2014
2014-2015
2015-2016
2016-2017
0.35
0.36
0.36
1
0.38
1.2
1.06
0.45
0.19

Appendices

Appendix A: Delegation orders

Privacy Act

The Prime Minister, as head of the Privy Council Office and pursuant to section 73 of the Privacy Acta, hereby designates the officers or employees holding the positions set out in the schedule hereto, and any persons acting in those positions, to exercise or perform the powers, duties and functions of the Prime Minister as the head of a government institution under the sections of the Act and the regulations opposite each position in the schedule.

This delegation order supercedes all previous delegation orders.

Prime Minister
Justin Trudeau

December 23, 2015

a R.S. 1985, c. P-21

Schedule

Position Sections of the Privacy Acta Sections of the Privacy Regulationsb
1. Clerk of the Privy Council and Secretary to the Cabinet. Full delegation. Full delegation.
2. Any senior management position within the Privy Council Office that reports directly to the position set out in paragraph 1 above. Full delegation. Full delegation.
3. All Assistant Secretaries and Assistant Deputy Ministers within the Privy Council Office. Full delegation. Full delegation.
4. Any management position that is responsible for a unit within the Privy Council Office and that reports directly to a position covered by paragraph 2 above other than the Assistant Deputy Minister of Corporate Services Branch. Full delegation. Full delegation.
5. Privacy Coordinator within the Privy Council Office. 8(4); 8(5); 9(1); 9(4); 10(1); 14; 15; 16; 17; 19; 35(4). 7; 9; 11(2); 11(4).

a R.S. 1985, c. P-21
b SOR/83-508

Appendix B: 2016-2017 Statistical Report on the Privacy Act

Reporting period: 2016-04-01 to 2017-03-31

Part 1 – Requests under the Privacy Act

Number of Requests
Received during reporting period
15
Outstanding from previous reporting period
4
Total
19
Closed during reporting period
16
Carried over to next reporting period
3

Part 2 – Requests closed during the reporting period 

2.1 Disposition and completion time
Disposition of requests
Completion Time
1 to 15 days
16 to 30 days
31 to 60 days
61 to 120 days
121 to 180 days
181 to 365 days
More than 365 days
Total
All disclosed
0
0
0
0
0
0
0
0
Disclosed in part
0
0
2
0
0
0
0
2
All exempted
0
0
0
0
0
0
0
0
All excluded
0
0
0
0
0
0
0
0
No records exist
0
39
0
0
0
0
0
39
Request abandoned
0
0
0
0
0
0
0
0
Neither confirmed nor denied
0
0
0
0
0
0
0
0
Total
0
39
2
0
0
0
0
41
2.2 Exemptions
Section
Number of requests
18(2)
0
19(1)(a)
0
19(1)(b)
0
19(1)(c)
0
19(1)(d)
0
19(1)(e)
0
19(1)(f)
0
20
0
21
0
22(1)(a)(i)
0
22(1)(a)(ii)
0
22(1)(a)(iii)
0
22(1)(b)
0
22(1)(c)
0
22(2)
0
22.1
1
22.2
0
22.3
0
23(a)
0
23(b)
0
24(a)
0
24(b)
0
25
1
26
2
27
1
28
0
2.3 Exclusions
Section
Number of requests
69(1)(a)
0
69(1)(b)
0
69.1
0
70(1)(a)
0
70(1)(b)
0
70(1)(c)
0
70(1)(d)
0
70(1)(e)
0
70(1)(f)
0
70.1
0
2.4 Format of information released
Disposition
Paper
Electronic
Other formats
All disclosed
0
0
0
Disclosed in part
2
0
0
Total
2
0
0

2.5 Complexity

2.5.1 Relevant pages processed and disclosed
Disposition of requests
Number of pages processed
Number of pages disclosed
Number of requests
All disclosed
0
0
0
Disclosed in part
217
171
2
All exempted
0
0
0
All excluded
0
0
0
Request abandoned
0
0
0
Neither confirmed nor denied
0
0
0
Total
217
171
2
2.5.2 Relevant pages processed and disclosed by size of requests
Disposition
Less than 100 pages processed
101-500 pages processed
501-1000 pages processed
1001-5000 pages processed
More than 5000 pages processed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
All disclosed
0
0
0
0
0
0
0
0
0
0
Disclosed in part
1
95
1
76
0
0
0
0
0
0
All exempted
0
0
0
0
0
0
0
0
0
0
All excluded
0
0
0
0
0
0
0
0
0
0
Request abandoned
0
0
0
0
0
0
0
0
0
0
Neither confirmed nor denied
0
0
0
0
0
0
0
0
0
0
Total
1
95
1
76
0
0
0
0
0
0
2.5.3 Other complexities
Disposition
Consultation required
Legal Advice Sought
Interwoven Information
Other
Total
All disclosed
0
0
0
0
0
Disclosed in part
0
1
2
0
3
All exempted
0
0
0
0
0
All excluded
0
0
0
0
0
Request abandoned
0
0
0
0
0
Neither confirmed nor denied
0
0
0
0
0
Total
0
1
2
0
3
2.6 Deemed refusals
2.6.1 Reasons for not meeting statutory deadline
Number of requests closed past the statutory deadline
Principal Reason
Workload
External consultation
Internal consultation
Other
0
0
0
0
0
2.6.2 Number of days past deadline
Number of days past deadline
Number of requests past deadline where no extension was taken
Number of requests past deadline where an extension was taken
Total
1 to 15 days
0
0
0
16 to 30 days
0
0
0
31 to 60 days
0
0
0
61 to 120 days
0
0
0
121 to 180 days
0
0
0
181 to 365 days
0
0
0
More than 365 days
0
0
0
Total
0
0
0
2.7 Requests for translation
Translation Requests
Accepted
Refused
Total
English to French
0
0
0
French to English
0
0
0
Total
0
0
0

Part 3 – Disclosures under subsection 8(2) and 8(5)

Paragraph 8(2)(e)
Paragraph 8(2)(m)
Subsection 8(5
Total
0
0
0
0

Part 4 – Requests for correction of personal information and notations 

Disposition for Correction Requests Received
Number
Notations attached
0
Requests for correction accepted
0
Total
0

Part 5 – Extensions

5.1 Reasons for extensions and disposition of requests
Disposition of requests where an extension was taken
15(a)(i)
Interference with operations
15(a)(ii)
Consultation
15(b)
Translation or conversion
Section 70
Other
All disclosed
0
0
0
0
Disclosed in part
3
0
0
0
All exempted
0
0
0
0
All excluded
0
0
0
0
No records exist
0
0
0
0
Request abandoned
0
0
0
0
Total
3
0
0
0
5.2 Length of extensions
Length of extensions
15(a)(i)
Interference with operations
15(a)(ii)
Consultation
15(b)
Translation purposes
Section 70
Other
1 to 15 days
0
0
0
0
16 to 30 days
2
0
0
0
Total
2
0
0
0

Part 6 – Consultations received from other institutions and organizations

6.1 Consultations received from other Government of Canada institutions and other organizations
Consultations
Other government of Canada institutions
Number of pages to review
Other organizations
Number of pages to review
Received during the reporting period
5
11
0
0
Outstanding from the previous reporting period
1
9
0
0
Total
6
20
0
0
Closed during the reporting period
6
20
0
0
Pending at the end of the reporting period
0
0
0
0
6.2 Recommendations and completion time for consultations received from other government institutions
Recommendation
Number of days required to complete consultation requests
1 to 15 days
16 to 30 days
31 to 60 days
61 to 120 days
121 to 180 days
181 to 365 days
More than 365 days
Total
Disclose entirely
3
1
0
0
0
0
0
4
Disclose in part
0
1
0
1
0
0
0
2
Exempt entirely
0
0
0
0
0
0
0
0
Exclude entirely
0
0
0
0
0
0
0
0
Consult other institution
0
0
0
0
0
0
0
0
Other
0
0
0
0
0
0
0
0
Total
3
2
0
1
0
0
0
6
6.3 Recommendations and completion time for consultations received from other organizations
Recommendation
Number of days required to complete consultation requests
1 to 15 days
16 to 30 days
31 to 60 days
61 to 120 days
121 to 180 days
181 to 365 days
More than 365 days
Total
Disclose entirely
0
0
0
0
0
0
0
0
Disclose in part
0
0
0
0
0
0
0
0
All exempted
0
0
0
0
0
0
0
0
All excluded
0
0
0
0
0
0
0
0
Consult other institution
0
0
0
0
0
0
0
0
Other
0
0
0
0
0
0
0
0
Total
0
0
0
0
0
0
0
0

Part 7 – Completion time of consultations on Cabinet confidences

7.1 Requests with Legal Services
Number of Days
Less than 100 pages processed
101-500 pages processed
501-1000 pages processed
1001-5000 pages processed
More than 5000 pages processed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
1 to 15
0
0
0
0
0
0
0
0
0
0
16 to 30
0
0
0
0
0
0
0
0
0
0
31 to 60
0
0
0
0
0
0
0
0
0
0
61 to 120
0
0
0
0
0
0
0
0
0
0
121 to 180
0
0
0
0
0
0
0
0
0
0
181 to 365
0
0
0
0
0
0
0
0
0
0
More than 365
0
0
0
0
0
0
0
0
0
0
Total
0
0
0
0
0
0
0
0
0
0
7.2 Requests with Privy Council Office
Number of Days
Less than 100 pages processed
101-500 pages processed
501-1000 pages processed
1001-5000 pages processed
More than 5000 pages processed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
Number of requests
Pages disclosed
1 to 15
0
0
0
0
0
0
0
0
0
0
16 to 30
0
0
0
0
0
0
0
0
0
0
31 to 60
0
0
0
0
0
0
0
0
0
0
61 to 120
0
0
0
0
0
0
0
0
0
0
121 to 180
0
0
0
0
0
0
0
0
0
0
181 to 365
0
0
0
0
0
0
0
0
0
0
More than 365
0
0
0
0
0
0
0
0
0
0
Total
0
0
0
0
0
0
0
0
0
0

Part 8 - Complaints and Investigations Notices Received

Section 31
Section 33
Section 35
Court Action
Total
2
0
0
0
2

Part 9 – Privacy Impacts Assesments (PIAs)

Number of PIAs completed
2

Part 10 – Resources related to the Privacy Act

10.1 Costs
Expenditures
Amount ($)
Salaries
$70,156
Overtime
$2,721
Goods and Services
$0
• Professional services contracts
$0
• Other
$0
Total
$72,877
10.2 Human Resources
Resources
Persons Years Dedicated to Privacy Activites
Full-time employees
0.19
Part-time and casual employees
0.00
Regional staff
0.00
Consultants and agency personnel
0.00
Students
0.00
Total
0.19

Note: Enter values to two decimal places.

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