Data Protection Policy 2022

The use of your personal Data at Churchview Dental Practice:
We seek your consent to obtain and process personal data for the purpose of providing you with dental treatment safely and to the highest standards. This Statement is your guide to the principles of privacy and confidentiality which govern the collection, use, storage, disclosure and destruction of your personal data in this practice.
The data compliance officer in this practice is Deborah Fahie-Wilson

Obtaining personal information:
It is important to obtain, use and store information about you, your general and your dental health in order to provide dental care efficiently and reduce the risk of injury or other damage to your health. This personal data includes:
• Personal details such as your name, age, address, telephone numbers, email address.
• Your PPS number, should you wish to be treated under a state scheme.
• Your doctor and relevant Medical Consultant(s).
• Your medical and dental history.
• X-rays, clinical photographs and study models.
• Information about proposed treatment, options, consent to treatment, treatment provided and its cost.
• Notes of conversations or incidents that might occur for which a record needs to be kept.
• Any correspondence with other healthcare professionals relating to you including agreed referrals to other healthcare professionals.
Your personal information is stored on computer. This practice is registered with the Data Protection Commissioner.
We will regularly update your personal data, including your medical care, to keep it relevant. We ask that you please inform us of any changes, such as a change of medication, medical status, address or other contact details, at your earliest convenience. It is important to know that the collection, use or possible disclosure of this data may be crucial to our ability to safely provide you with the care you require; without your agreement to this process it may not be possible to undertake treatment.
You have access to a copy of your personal data upon written request or by verified email and the right to have data rectified if incorrect.

Personal data is kept for specified, explicit and lawful purposes:
Your personal data is obtained, kept and used primarily for the purpose of providing you with healthcare efficiently and safely at all times. Staff within the practice will have access to the data on a ‘need-to-know’ basis to ensure you receive the highest standard of care. In the course of your care, members of the dental team may access your records:
• To prepare for and to complete your dental care.
• To ratify that you are eligible for treatment under a state scheme.
• To identify and print/email a prescription.
• To generate an attendance certificate.
• To type, if dictated or print a referral letter/letter by email to another healthcare professional.
• To open correspondence or any other documents from other healthcare professionals.
• To print, email or photocopy your records if you instruct us to forward them to another healthcare professional.
• To collate, print, photocopy and post or email insurance or medico-legal reports.
It is practice policy to send you a reminder of when your next ‘appointment’, ‘check-up’ or ‘dental hygiene visit’ is due. This reminder is sent to you by text message. We seek your consent to use your personal data for this propose and advise you of your right to refuse to have your data used for this purpose.

Personal data is only used and disclosed for the purpose of your care:
All members of the dental team adhere to the practice’s Code on Confidentiality in compliance with the Data Protection Acts, 1988 and 2003 and 2018, The European Communities ( Electronic Communication Networks and Services) ( Privacy and electronic communications) Regulations 2011. SI no. 336 of 2011 and the Dental Council’s Code of Practice relating to Professional Behaviour and Ethical Conduct, 2012.
Any disclosure of personal data, without your consent, can only be done for specified, legitimate reasons (8 (a-h), Data Protection Act, 1988; Section 10, Dental Council’s Code of Practice relating to Professional Behaviour and Ethical Conduct, 2012).
Access to your personal data is on a ‘need-to-know’ basis. This prohibits the release of your information to a spouse, partner or family member without your explicit consent. A guardian or carer may have the right to access information in the case of vulnerable adults or those with diminished mental capacity. A parent or guardian will have access to your personal information if you are less than 16 years of age.
A copy of your dental records will be transferred to another practice or healthcare professional upon your written or (verified) email request.
Your consent will be sought before the release of any data to other healthcare professionals and then only the relevant part of your records will be released. All healthcare professionals are required to treat your personal data to the same standard of privacy as outlined in this statement.
Your consent will be sought in the case of:
• A report to dental insurance company
• A medico-legal report
• Any documentation relating to a “third party” Dental Scheme (e.g. Decare, Defence Forces, VHI or PRSI scheme)
Data may be disclosed without consent when it is directed by a court of law, tribunal or other body established by an Act of the Oireachtas, In addition we are bound by the Dental Council’s Code of Practice relating to Professional Behaviour and Ethical Conduct to report any concerns to the appropriate authority if we have reasonable grounds to suspect that a child, vulnerable adults or elderly patients:
• may have been abused;
• is being abused;
• is at risk of abuse.
There are also certain activities where patient information may be used without consent, but where the information is anonymous, eliminating patient identification:
• Teaching.
• Continuing Professional Development. Case studies are a very useful learning tool.
• Quality Assurance/Internal audit. Audit is a necessary tool in assessing and assuring the quality of your care.
• Research.

Cease to Practice:
If any of the practicing dentists at Churchview Dental Practice should cease to practice, or should die while still a practicing dentist, the dental team will be guided by the Dental Council’s Code of Practice relating to Professional Behaviour and Ethical Conduct in informing you, safeguarding your personal data and ensuring continuity of care where possible.
Every effort is made to ensure disclosed personal data is accurate and transferred securely.
Personal data is kept safely:
Deborah Fahie-Wilson is responsible for data security in this practice.
Obtained personal data is accessed on a ‘need-to-know’ basis and thereafter, is stored securely:
• There is no access for unauthorised persons to manual records, fax machines, computers or computer monitors within the practice.
• The dental team is trained in the secure use of email and the internet.
• The dental team is compliant with the practice’s security measures.
• The practice premises is locked and alarmed when unoccupied.
• The practice software is legally owned.
• The practice software is updated regularly and password protected.
• Software security is audited.
• All clinical, financial and administrative records are backed up off-site daily by Deborah Fahie-Wilson.
Deborah Fahie-Wilson is responsible for dealing with any incident where personal data has been put at risk of unauthorised disclosure, loss, destruction or alteration. Management of any breach incident will comply with the advice of the Data Protection Commissioner (Personal Data Security Breach Code of Practice).

Personal data is kept accurate, complete and up-to-date:
A staff member will review your personal information with you on a regular basis to ensure we hold accurate, high quality records for you. Any changes to your personal details, your medical or dental status will be recorded in your records. We ask you to let us know of any changes in contact details at your earliest convenience.
Personal data is adequate, relevant and not excessive
Every effort is made to ensure that the information we collect and retain for you is in keeping with our aim to provide you with an efficient service and to care for you safely. We will explain the purpose of any information sought if you are not sure why.

Personal data is retained for no longer than necessary:
We retain all adult records for 8 years after the last treatment. In the case of children and young adults, the records are kept until the patient’s 25th birthday; or their 26th birthday if the young person was 17 when they finished treatment. If a patient dies before their 18th birthday, records are kept for 8 years.
All records are disposed by a secure, certified, method of destruction (Dental Council Code of Practice relating to Professional Behaviour and Ethical Conduct, 2012).

Your rights:
You are legally entitled to a photocopy of your personal data upon written request. As well as a right of access you also have the right to have any inaccuracies in your data rectified and to have the data erased. (NOTE: The maximum fee for an access request is €6.35). You will be provided with a digital copy of your x-ray in response to an access request.
All written requests should be addressed to:
Deborah Fahie-Wilson
Churchview Dental Practice, Dublin Road, Portlaoise, Co.Laois
Or by email to, identifiying information will be requested to verify your identity if your email is not already on record.
Your request will be dealt with in a timely manner.
It is your right to have your name removed from all practice marketing information including ‘check-up’ recalls if you do not consider this information to be in your best interest. If you wish to be removed from our appointment texting service or our marketing/mailing lists please advise any member of staff.
If you do not wish to have your personal data collected, used or disclosed as described in this Statement please discuss this matter with Deborah Fahie-Wilson. It is important to know that the collection, use or possible disclosure of this data may be crucial to our ability to safely provide you with the care you require; without your agreement to this process it may not be possible to undertake treatment at this practice.
If you have a complaint or concern with any aspect of how we process your personal information we would hope that you would notify Deborah Fahie-Wilson in the first place. You retain the right to make a complaint to the Data Protection Commissioner at all times.
If you have any questions in relation to this Statement or any issue that arises from it please speak with Deborah Fahie-Wilson.

Deborah Fahie-Wilson
Compliance Officer