Privacy Policy

Bayviews Restaurant & Lounge Bar is covered by 10 National Privacy Principles (NPPs), as set out in the Privacy Act 1988 (amended by the Privacy Amendment (Private Sector) Act 2000). The policy applies to all clients, customers, candidates and contractors who provide us with their personal information.

Bayviews Restaurant & Lounge Bar has created this privacy statement in order to demonstrate our firm commitment to privacy. Bayviews Restaurant & Lounge Bar takes its obligations under the Privacy Act seriously and will take all reasonable steps in order to ensure compliance with the Act, and to protect the privacy of all personal information that we hold. The following discloses the information gathering and dissemination practices for this Web site.

Arrangements For Privacy Compliance

The organisational arrangements for privacy compliance on our site are that the Webmaster is the Privacy Compliance Manager who reports to the Executive Director of Bayviews Restaurant & Lounge Bar. The contact details are as follows:

Privacy Compliance Manager
On the beach, First Floor, North Terrace
Burnie TAS 7320
ph 03 6431 7999
fx 03 6431 7988

Contacting this Website

If you have any need to contact us about our privacy policy or your personal information, please contact the Privacy Compliance Manager as detailed above.

Complaints

If you have a complaint about how our company is handling your personal information you should direct that complaint to our Privacy Compliance Manager. We will respond to the complaint as quickly as possible but not more than 30 days after the complaint has been made.

If you are not satisfied with the response or outcome of that enquiry, you should raise the complaint and our response to it with the Office of the Federal Privacy Commissioner.

National Privacy Principles

This section summarises the ten National Privacy Principles. Where applicable, Bayviews Restaurant & Lounge Bar's approach to handling information has been documented.

NPP 1. Collection

SalPro Core collects information from clients solely to carry out its functions. Where possible, information is collected directly from the individual. Where information is collected from a third party, the individual is informed or may reasonably expect that we have been given this information.

NPP 2. use and disclosure

Generally, information is used solely for the purpose for which it was collected (the "primary purpose"). Some information is used in a secondary manner for marketing analysis, but remains an internal process. Under this NPP, we may be required to disclose information by law or for various legal purposes.

NPP 3. Data quality

We try to ensure our information is accurate and as up-to-date as possible.

NPP 4. Data security

This site has security measures in place to protect the loss, misuse, and alteration of the information under our control. All personal information is held under secure conditions with access restricted to those individuals who need it to carry out their work as authorized agents of SalPro Core.

NPP 5. Openness

This NPP requires organisations to have a freely available policy document outlining its information handling practices. This Privacy Policy is designed to meet this requirement.

NPP 6. Access and correction

It is SalPro Core's policy to give individuals access to their data on request, so that they may review and correct details. However, the full text of this NPP lists exceptions to this right, mainly where access to the information may impact adversely on the individual or others.

We reserve the right to take reasonable steps to ensure that the person seeking access is in fact the individual to whom the data relates; or is otherwise entitled to access the data. To meet the requirements of this NPP, it is also possible that there may be small delay while we investigate the appropriateness of providing access to some classes of data.

If access is refused or restricted, we will give an explanation for this decision.

NPP 7. Identifiers

Organisations should not use identifiers issued by Commonwealth Government agencies as Account Number identifiers. However, the Australian Business Number (ABN) is not considered such an identifier.

NPP 8. Anonymity

Individuals must be able to act anonymously where it is practical and lawful to do so. To this aim, the pages visible on this site are available without login.

Account registration is at the sole discretion of the Webmaster and public membership is not presently offered. This effectively means browsing this site is always done with anonymity.

NPP 9. Transborder data flows

An organisation must take steps to ensure data will be protected when forwarded to a third party. This includes data going overseas.

No data is sent overseas.

NPP 10. Sensitive information

Information on race, ethnicity, political opinions, religious or philosophical beliefs, trade union membership, health information or sexual inclination is classed as sensitive information.

SalPro Core does not collect sensitive information except with where required by law. The NPP lists other circumstances where sensitive information might be collected.

TYPES OF PERSONAL AND SENSITIVE INFORMATION HANDLED BY US

No sensitive information is handled by SalPro Core.