4.1 Data Privacy Officer
The Data Privacy Officer is entrusted with the following responsibilities as to Personal Data or Information or Sensitive Personal Data or Information or any other Data or Information of a person/entity:
- Briefing the management of BALIC on data privacy policies, procedures and responsibilities of various persons who access, receive, provide or transmit.
- Reviewing the data privacy policies and procedures.
- Advising employees of BALIC on various data privacy issues, precautions and safeguards to preserve the strict confidentiality and privacy of Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature.
- Ensuring that continual data privacy trainings are conducted for employees of BALIC [on roll and off roll and or full time or part time].
- Advising reasonable security practices, procedures and Standards for Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature.
- Examining, Handling and closing of all issues relating to reasonable security practices, procedures and Standards to be complied with as to Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data of whatsoever nature.
- To take care of any other issues of whatsoever nature relating to reasonable security practices, procedures and Standards to be taken/followed for storage, safe keeping, dissemination, transmission, preservation, confidentiality, restrictions on disclosing the Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature and all other related matters in regard to Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature including Customer Data or Insurance Data.
- Upon appeal by concerned person, to act as appellate authority against the decision of Grievance Officer.
- Data Privacy Officer will also discharge duties of Data Controller.
The Associate Vice President for Legal shall be designated Data Privacy Officer.
4.2 Role of Grievance Officer
In case of any feedback or grievance, inputs, or feedback regarding protection or any other issues as to Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature, the Grievance Officer may be contacted. On receipt of the request, the Grievance Officer shall take necessary steps, within a reasonable time, to ensure that proper steps, safeguards and suitable action, if warranted, is taken to redress the grievance/complaint.
The contacts details for the BALIC Grievance Office is as mentioned on the company website
Grievance Officer: In charge of Customer Experience Unit, BALIC
4.3 Team / Department
Each team or department or person who access, receive, provide or transmits Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature shall take reasonable security practices, procedures and Standards that are commensurate with the Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature being transmitted while storing, safe keeping, disseminating, transmission, preserving.
4.4 End-users:
The end-users viz. all employees of BALIC (full, part time, on roll, Contractual), individual agents, licensed Corporate Agents, Insurance Intermediaries, Brokers, Referral Companies, Tele Marketers providing Tele calling/Marketing services to BALIC, service providers providing various services and or infrastructure and or facilities, consultants, suppliers and vendors and also all such other persons and entities shall read, understand and abide by this Data Privacy Policy. They are also expected to safeguard and follow the strict confidentiality of Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature, including Customer Data and or Insurance data. Any disclosure or transmission of Data of BALIC or its Customers/prospective Customers/Insured/Beneficiaries of Insurance Policies of BALIC shall be only for BALIC's Business purpose and shall be only on need to know and after obtaining permission of Data Privacy Officer for such disclosure or transmission. End-users shall not disclose or transmit the Data to any person who is not entitled to receive and without obtaining the permission of Data Privacy Officer in writing [by email or otherwise]. Any disclosure or transmission of Personal Data or Information and or Sensitive Personal Data or Information of a person or any other Data or Information of whatsoever nature, including Customer Data and or Insurance Data to third parties, or to personal email ID of End-users with an intention to misusing or other wise to part to third parties or to outside BALIC systems shall be deemed to be breach of Confidentiality and unauthorised disclosure/transmission of above mentioned Data etc., for which respective End-users shall be solely liable. Further, any compromise of secret password by End-users which results in breach of Confidentiality or unauthorised disclosure/transmission as mentioned hereinabove, shall be the main responsibility and liability of such End-user who compromised. This is apart from liability of any person who breaches confidentiality mentioned hereinabove by accessing and misusing the computer systems of other End-users.
4.5 Enforcement:
Breach of the Data Privacy Policy will lead to (i) suitable disciplinary action and or may attract suitable legal action/proceedings and/or costs, expenses, penalties, damages, claims against employees and (ii) suitable legal action/proceedings and/or costs, expenses, penalties, damages, claims etc., against any person/entity [other than employee].
The aforesaid action shall be apart from BALIC taking suitable steps under the relevant MOU/Agreement/contract or understanding with such defaulting End-user, as BALIC may be deemed fit and proper.
4.6 Appointments:
Appointments of the designated officers under this Policy shall be done with the approval of the Chief Executive Officer (CEO). The CEO shall also be entitled to make any changes in the appointment of the designated officers.