Steglinge AB (hereinafter Steglinge) has camera surveillance in its operations.
The purpose of camera surveillance is to:
- prevent and mitigate injuries so that staff working on our premises can feel safe
- be able to investigate and prove delivery and picking, in case of dispute about wrong deliveries
- people who want to commit crimes against Steglinge, its employees or customers, are reluctant to do so, as the risk of being detected and identified is too high
- be able to investigate crimes committed against the company
Steglinge has the right to camera surveillance under the Camera Surveillance Act and is supported by the legal basis of Balancing of Interests. The processing of personal data is necessary for the purpose described above.
Audio recording is not used. The data will not be used for automated decision-making.
Storage/archiving
The basic rule is that recorded material is retained for 30 days, after which it is automatically transferred. Material may never be saved for longer than there is a concrete need for, for example, at most until the day the company has formally handed over recorded material to the Police Authority or until an internal investigation is completed and the material is handed over to the company.
Recipients of film material
The recipient of the recorded material is Steglinge, or any emergency call center and police authority upon request. The data is not disclosed to third countries.
Rights of the person being filmed
Anyone registered in the company's camera system can complain to the Data Inspectorate if it is considered that the company is violating laws, regulations or agreements.
Anyone who may be subject to camera surveillance has the right to request access to the recorded material, correction of any errors in the recorded material or deletion of the recorded material. This applies if the person in the video or image can be identified. If it is not possible to identify the person in the image, it is not considered personal data, in which case the right to an extract from the register does not apply and the company does not disclose any material, unless the person filmed can provide additional information that allows identification, such as date and time. In case of unreasonable or repeated requests that are clearly unfounded, Steglinge may charge a fee for the case.
Contact details
Data Protection Officer
Steglinge AB
Steglingevägen 79
263 91 Höganäs
info@steglingegard.se