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Data Protection Policy: Restricted Access to Confidential Information  


Purpose  


BISBLOX recognizes its need to maintain the confidentiality of Business Confidential Information (BCI) and Personal Identity Information (PII) and understands that such information is unique to each client and individual. The data covered by this policy may come from various types of individuals performing tasks on behalf of the company and includes employees, applicants, independent contractors and any PII maintained on its customer base. The scope of this policy is intended to be comprehensive and will include company requirements for the security and protection of such information throughout the company and its approved vendors both on and off work premises. 

Departments named in this policy have delegated authority for developing and implementing procedural guidance for ensuring that their departmental responsibilities under this policy are communicated and enforced. 


Key Elements  

Personal Identity Information (PII): Unique personal identification numbers or data, including: 

  • Social Security Numbers (or their equivalent issued by governmental entities outside the United States). 

  • Taxpayer Identification Numbers (or their equivalent issued by governmental revenue entities outside the United States). 

  • Employer Identification Numbers (or their equivalent issued by government entities outside the United States). 

  • State or foreign drivers license numbers. 

  • Date(s) of birth. 

  • Corporate or individually held credit or debit transaction card numbers (including PIN or access numbers) maintained in organizational or approved vendor records. 


Business Confidential Information (BCI): Unique business-privileged numbers or data, including: 

  • Client-specific information shared within the course of contractor or vendor roles, that may or may not include PHI, but is deemed professionally privileged; 

  • Pricing strategies, financial assessments and market positioning; 

  • Competitive analysis, leadership discussions, negotiations; and 

  • Non-public information otherwise protected under NDA. 


PII and BCI may reside in hard copy or electronic records; both forms of data fall within the scope of this policy. 

Vendors: Individual(s) or companies that have been approved by the Executive Team as a recipient of organizational PII and from which the Contracts Department has received certification of their data protection practices conformance with the requirements of this policy. Vendors include all external providers of services to the company and include proposed vendors. No PII information can be transmitted to any vendor in any method unless the vendor has been pre-certified for the receipt of such information. 


Data Retention: BISBLOX understands the importance of minimizing the amount of PII data it maintains and retains such PII/BCI only as long as necessary. A joint task force comprising members of the Executive departments maintains organizational record retention procedures, which dictate the length of data retention and data destruction methods for both hard copy and electronic records. 


Training: All new hires entering the company who may have access to PII/BCI are provided with introductory training regarding the provisions of this policy, a copy of this policy and implementing procedures for the department to which they are assigned. Employees in positions with regular ongoing access to PII/BCI or those transferred into such positions are provided with training reinforcing this policy and procedures for the maintenance of PII data and shall receive annual training regarding the security and protection of PII/BCI data and company proprietary data. 


PII Audit(s): BISBLOX conducts audits of PII/BCI information maintained by the company in conjunction with fiscal year closing activities to ensure that this policy remains strictly enforced and to ascertain the necessity for the continued retention of PII information. Where the need no longer exists, PII information will be destroyed in accordance with protocols for destruction of such records and logs maintained for the dates of destruction. The audits are conducted by Executive leaders. 

Data Breaches/Notification: Databases or data sets that include PII/BCI may be breached inadvertently or through wrongful intrusion. Upon becoming aware of a data breach, the company will notify all affected individuals whose PII/BCI data may have been compromised, and the notice will be accompanied by a description of action being taken to reconcile any damage as a result of the data breach. Notices will be provided as expeditiously as possible and in no event be later than the commencement of the payroll period after which the breach was discovered. 


A Legal consultant will handle breach notifications(s) to all governmental and healthcare agencies to whom such notice must be provided in accordance with time frames specified under these laws. Notices to affected individuals will be communicated by Executive Officers after consultation with the Legal consultant and within the time frame specified under the appropriate law(s). 


Data Access: BISBLOX maintains multiple IT systems where PII/BCI data may reside; thus, user access to such IT systems is the responsibility of the IT department. The IT department has created internal controls for such systems to establish legitimate access for users of data, and access shall be limited to those approved by IT. Any change in vendor status or the termination of an employee or independent contractor with access will immediately result in the termination of the user’s access to all systems where the PII may reside. 


Vendors/Contractors: BISBLOX may share data with vendors who have a business need to have PII data. Where such inter-company sharing of data is required, the IT department is responsible for creating and maintaining data encryption and protection standards to safeguard all PII data that resides in the databases provided to vendors. Approved vendor lists will be maintained by the Executive Team, who will notify IT of any changes to vendor status with the company. 


Portable Storage Devices: BISBLOX reserves the right to restrict PII/BCI data it maintains in the workplace. In the course of doing business, PII/BCI data may also be downloaded to laptops or other computing storage devices to facilitate company business. To protect such data, the company will also require that any such devices use IT department-approved encryption and security protection software while such devices are in use on or off company premises. The IT department has responsibility for maintaining data encryption and data protection standards to safeguard PII/BCI data that resides on these portable storage devices. 


Off-Site Access to PII/BCI: BISBLOX understands that employees may need to access PII/BCI while off site or on business travel, and access to such data shall not be prohibited, subject to the provision that the data to be accessed is minimized to the degree possible to meet business needs and that such data shall reside only on assigned laptops/approved storage devices that have been secured in advance by the IT department. 


Regulatory Requirements: It is the policy of the company to comply with any international, federal or state statute and reporting regulations. BISBLOX has delegated the responsibility for maintaining PII security provisions to the departments noted in this policy. BISBLOX Legal department shall be the sole entity named to oversee all regulatory reporting compliance issues. If any provision of this policy conflicts with a statutory requirement of international, federal or state law governing PII, the policy provision(s) that conflict shall be superseded. 


Confirmation of Confidentiality: All company employees must maintain the confidentiality of PII/BCI as well as company proprietary data to which they may have access and understand that that such PII/BCI is to be restricted to only those with a business need to know. Employees with ongoing access to such data will sign acknowledgement reminders annually attesting to their understanding of this company requirement. 


Violations of PII Policies and Procedures: BISBLOX views the protection of PII/BCI data to be of the utmost importance. Infractions of this policy or its procedures will result in disciplinary actions under the company’s discipline policy and may include suspension or termination in the case of severe or repeat violations. PII/BCI violations and disciplinary actions are incorporated in the company’s PII onboarding and refresher training to reinforce the company’s continuing commitment to ensuring that this data is protected by the highest standards. 

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Policy Updated: 1 March 2024

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