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HR Legal Update – ICO highlights considerations for the future of privacy with the emergence of wearable technology

With the launch of wearable technology (WT) products such as Google Glass and Smart watches, the Information Commissioner’s Office (ICO) has highlighted that as WT develops, people will understandably have reservations about the increasing amounts of personal information that these products are capable of collecting and transmitting.

With the launch of wearable technology (WT) products such as Google Glass and Smart watches, the Information Commissioner’s Office (ICO) has highlighted that as WT develops, people will understandably have reservations about the increasing amounts of personal information that these products are capable of collecting and transmitting. And it is not just an issue of personal use, but also for employers using WT as a business tool. The ICO points out that where businesses are concerned, the use of wearable technology to process personal information will almost always be covered the Data Protection Act. This means that they must process the information collected by these devices in compliance with the legislation. This includes making sure that people are being informed about how their details are being collected and used, only collecting information that is relevant, adequate and not excessive and ensuring that any information that needs to be collected is kept securely and deleted once it is no longer required. Therefore, relevant policies and staff training need to be put in place.

 

Content Note

The aim is to provide summary information and comment on the subject areas covered. In particular, where employment tribunal and appellate court cases are reported, the information does not set out full details of all the facts, the legal arguments presented by the parties and the judgments made in every aspect of the case. Click on the links provided to access full details. If no link is provided contact us for further information. Employment law is subject to constant change either by statute or by interpretation by the courts. While every care has been taken in compiling this information, SM&B cannot be held responsible for any errors or omissions. Specialist legal advice must be taken on any legal issues that may arise before embarking upon any formal course of action.

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