MEDIA COPYRIGHT RELEASE
I hereby grant permission to the rights of any media produced that contains my image, likeness, and sound of my voice as recorded on audio or video, without payment or any other consideration unless otherwise indicated to me in writing.
I additionally freely grant permission to the rights of any media produced as a result of my own firsthand story accounts documented while participating in a ShareWord Global event. I understand that all such media may be edited and copied in part or in whole, and exhibited, published, or distributed, and I waive the right to inspect or approve the finished product wherein my likeness and/or story account(s) appear.
Additionally, I waive any right to royalties or other compensation arising or related to the use of any such media or recording of me and/or my story account(s). I also understand that this material may be used in diverse settings within an unrestricted geographic area. Photographs, audio, or video recordings may be used for the following purposes: Marketing/Promotional Materials Presentations or Events
News Releases Fundraising Satellite Broadcasts
Social Media Other Publications
By digitally signing/confirming this Release with my submission, I understand this permission signifies that photographic or recordings of me and/or my stories may be displayed electronically or in print in communications related to the mission of ShareWord Global.
There is no time limit on the validity of this release nor is there any geographic limitation on where these materials may be distributed.
Privacy Policy
Personal Information Privacy Commitment Statement
In order to safeguard the personal information entrusted to ShareWord Global ("SWG") and NewLife Bible (“NLB”), SWG will comply with:
1. The Canadian Personal Information Protection and Electronic Documents Act (“PIPEDA”)
2. The Canadian Code for Consumer Protection in Electronic Commerce (the “Code”)
3. Any other applicable legislation
These principles will be enacted in accordance with the "SWG Policy to Protect Personal Information" (the "Policy").
1. Accountability
2. Identifying purposes
3. Consent
4. Limiting collection
5. Limiting use, disclosure, and retention
6. Accuracy
7. Safeguards
8. Openness
9. Individual access
10. Challenging compliance
SWG, its directors, officers, employees and volunteers are required to comply with the principles and the Policy and will be given restricted access to personal information solely to perform the services provided by SWG.
Other persons or organizations who act for, or on behalf of, SWG are also required to comply with the principles and the Policy and will be given restricted access to personal information solely to perform the services provided for SWG.
SWG has designated Andrew Beaulieu to be SWG's Data Protection Officer. Any inquiry, request or concern related to privacy matters should be made in writing to SWG.
Mr. Beaulieu may be contacted at:
Data Protection Officer
Andrew Beaulieu
ShareWord Global
501 Imperial Road North Guelph, ON N1H 6T9
A printed copy of the Policy may be requested by mail at the above address or e-mail at This email address is being protected from spambots. You need JavaScript enabled to view it.
Policy To Protect Personal Information
Accountability
1. Andrew Beaulieu is the Data Protection Officer (DPO) (the "Officer") for the ShareWord Global ("SWG").
2. All persons, whether employees, volunteers, or board or committee members who collect, process, or use personal information shall be accountable for such information to the Officer.
3. The ShareWord Global Policy To Protect Personal Information (the "Policy") shall be made available via SWG's website (www.sharewordglobal.com), or a paper copy provided upon written request.
4. Any personal information transferred to a third party for processing is subject to this Policy. The Officer shall use contractual or other appropriate means to protect personal information at a level comparable to this Policy while a third party is processing this information.
5. Personal information to be collected, retained, or used by SWG shall be done so only after the Officer gives approval. This information shall be secured according to the Officer's instructions.
6. Any person who believes SWG uses personal information collected, retained, or used for purposes other than those that person explicitly approved may contact the Officer to register a complaint or to make any related inquiry.
7. Upon receiving a complaint from any person regarding the collection, retention, or use of personal information, the Officer shall promptly investigate the complaint and notify the person who complained about his/her findings and corrective action taken, if any.
8. Upon receiving the response from the Officer, the person who filed the complaint may, if he/she is not satisfied, appeal to SWG's Board of Directors to review and determine the disposition of the complaint at issue.
9. The determination of the Board of Directors shall be final and the Officer shall abide by and implement any of its recommendations.
10. The Officer shall communicate and explain this Policy and give training regarding it to all employees and volunteers who might be in a position to collect, retain, or use personal information.
11. The Officer shall prepare and disseminate information to the public which explains SWG's protection of personal information policies and procedures.
Identifying Purposes
1. The Officer shall determine the purpose for which personal information is collected to comply with the openness and individual access principles outlined below.
2. The Officer shall determine the information that will be needed to fulfill the purposes for which the information is to be collected, to comply with the limited collection principle below.
3. The Officer shall ensure that the purpose is specified at or before the time of collecting the personal information from an individual.
4. The Officer shall ensure that the information collected will not be used for any other purpose before obtaining the individual's approval, unless the new purpose is required by law.
5. The Officer shall ensure that a person collecting personal information will be able to explain to the individual why this is being done.
6. The Officer shall ensure that limited collection, limited use, disclosure, and retention principles are respected in identifying why personal information is to be collected.
Consent
1. The Officer shall ensure that the individual from whom personal information is collected consents to this and to it being used and disclosed.
2. The Officer shall ensure that the individual can reasonably understand why and how the information will be used when the consent is given.
3. The Officer shall ensure that no condition is attached to supplying benefits, because of SWG's activities, requiring the individual to give consent for the collection, use, or disclosure of information beyond that required to fulfill the explicitly specified and legitimate purposes.
4. The Officer will obtain clear consent whenever possible. For example, if SWG needs to collect personal information for a new project, the Officer will explain why the information is needed and how it will be used, and then ask for the individual's consent. In rare circumstances where, in the Officer's opinion (having regard to the information's sensitivity and the Policy's purpose and intent), implied consent might be acceptable.
5. In obtaining consent, the Officer shall ensure that the individual's reasonable expectations are respected.
6. The Officer shall ensure that cases of express consent obtained from an individual is clear and in an appropriately verifiable form.
7. The Officer shall ensure that the individual may withdraw consent at any time, subject to legal or contractual restrictions and reasonable notice. The individual shall promptly be informed of the withdrawal's implications.
Limiting Collection
1. The Officer shall ensure that personal information will not be collected indiscriminately. Both the amount and type of information collected shall be limited to that which is necessary to fulfill the purposes identified. The Officer shall specify the type of information to be collected, according to the openness principle.
2. The Officer shall ensure that information is collected only by fair and lawful means without misleading or deceiving individuals as to the reason.
3. The Officer shall ensure that the identifying purposes and consent principles are followed in identifying why personal information is to be collected.
4. The Officer shall ensure that for “commercial activity” as set out in PIPEDA and for “transaction” under the Code, the personal information required to be collected will be used exclusively for purposes of completing the transaction and will not be retained for any other purpose thereafter.
Limiting Use, Disclosure, and Retention
1. The Officer shall ensure that personal information shall not be used or disclosed for purposes other than those for which it was collected, except with the consent of the individual or as required by law, and any use of personal information shall be properly documented.
2. The Officer shall ensure that all personal information is destroyed, erased, or made anonymous as soon as the purpose for which it was collected is no longer relevant, or as permitted by law.
3. There shall be reviews of the need to continue retaining personal information periodically. Except as required to be retained by law or for the purposes of statistical analysis, all personal information shall be deleted, erased, or made anonymous no later than seven years after the purpose for which it was collected has been completed.
4. The Officer shall ensure that all use, disclosure, and retention decisions are made in light of the consent principle, the identifying purposes principle and the individual access principle.
Accuracy
1. The Officer shall reasonably ensure that the personal information is accurate, complete, and up to date, taking into account the individual's interests. The Officer shall ensure that the information is sufficiently accurate, complete, and up to date to minimize the possibility that inappropriate information might be used to make a decision about an individual.
2. The Officer shall ensure that SWG does not routinely update personal information, unless it is necessary to fulfill the purposes for which the information was collected.
3. The Officer shall ensure that personal information used on an ongoing basis, including information that is disclosed to third parties, should generally be accurate and up to date, unless limits to the requirement for accuracy are clearly set out.
Safeguards
1. The Officer shall ensure that SWG has security safeguards to protect personal information against loss or theft, as well as unauthorized access, disclosure, copying, use, or modification. He/she shall do this regardless of the format in which SWG holds the information.
2. Depending on the information's sensitivity, the Officer may permit reasonable discretion regarding the information that has been collected: the amount, distribution, format, and the method of storage. A higher level of protection shall safeguard more sensitive information according to the consent principle's considerations.
3. The Officer will ensure that SWG has security safeguards to protect personal information against loss or theft, as well as unauthorized access, disclosure, copying, use, or modification. These safeguards include:
3.1. Physical measures: Locked filing cabinets and restricted access to offices.
3.2. Organizational Measures: Security clearance and limiting access on a "need-to-know" basis.
3.3. Technological Measures: Use of passwords and encryption.
4. The Officer shall ensure that all employees, users and volunteers know the importance of keeping personal information confidential.
5. The Officer shall ensure that care is taken when personal information is disposed of or destroyed to prevent unauthorized parties from gaining access to it.
Openness
1. The Officer shall ensure that SWG is open about its policies and practices regarding the management of personal information. The policies and information about the related practices shall be available without unreasonable effort in a format generally understandable.
2. The Officer shall ensure that the information available shall include:
2.1. the name or title and address of the Officer who is accountable for SWG's policies and practices and to whom complaints or inquiries can be forwarded;
2.2. the means of gaining access to personal information held by SWG;
2.3. a description of the type of personal information held by SWG, including a general account of its use;
2.4. a copy of any brochures or other information that explain SWG's policies, standards, or codes; and
2.5. what personal information is made available to related organizations (e.g., organizations that are affiliated).
3. The Officer shall ensure the information that must be provided according to point above is available at the locations SWG operates, online, or through the mail.
Individual Access
1. Upon receiving a written or email request, the Officer will inform the individual whether SWG holds their personal information. If possible, the source of the information will also be provided. SWG will provide the individual a copy of their personal information. SWG will also provide an account of how the information has been used and disclose any third parties to whom it has been shared. If the Officer believes there are valid reasons to deny access to personal information, they will consult legal counsel before making a decision.
2. When requesting personal information, the individual may be asked by the Officer to provide sufficient details to enable SWG to account for the existence, use, and disclosure of the personal information. The information provided will be used solely for the purpose for which it was collected.
3. If SWG has supplied personal information about an individual to third parties, the Officer shall ensure that an attempt is made to be as specific as possible. When it is impossible to give a list of organizations to which SWG has actually disclosed information about an individual, SWG shall provide a list of organizations to which it might have disclosed information about the individual.
4. The Officer shall ensure that SWG responds to an individual's request within a reasonable time and at minimal or no cost to the individual. The requested information shall be made available in a generally understandable form. For example, SWG shall explain abbreviations or codes it uses to record information.
5. The Officer shall ensure that when an individual successfully demonstrates the inaccuracy or incompleteness of personal information, SWG shall amend the information as required. Depending on the information challenged, amendment involves the correction, deletion, or addition of information. When appropriate, the amended information shall be transmitted to third parties having access to the information in question.
6. The Officer shall ensure that when a challenge is not resolved to the individual's satisfaction, SWG shall record the unresolved challenge's substance. When appropriate, the unresolved challenge's existence shall be transmitted to third parties having access to the information in question.
Challenging Compliance
1. The Officer is authorized to address a challenge concerning compliance with the above principles.
2. The Officer shall develop procedures to receive and respond to complaints or inquiries about the policies and practices regarding the handling of personal information. The compliance procedures shall be easily accessible and simple to use.
3. The Officer shall inform individuals inquiring about lodging complaints that relevant complaint procedures exist.
4. The Officer shall investigate all complaints. If a complaint is found to be justified, the Officer shall take appropriate measures, including, if necessary, amending this Policy and general policies and practices pertaining to personal information entrusted to SWG.
Training and Awareness
The Officer will provide training to all employees and volunteers on SWG's policies and procedures for protecting personal information. This training will ensure that everyone understands their responsibilities and the importance of safeguarding personal data.
Feedback
Individuals can provide feedback or report issues related to privacy practices by contacting the Data Protection Officer at This email address is being protected from spambots. You need JavaScript enabled to view it. . SWG values your input and will use it to improve our policies and procedures.
Individual Access and Data Subject Access Request
Definition of Personal Data
Personal Data refers to any information relating to an identifiable person who can be directly or indirectly identified by the data. This includes personal identifiers such as names, identification numbers, location data, or online identifiers like IP addresses.
Rights of Individuals
Individuals ("Data Subjects") have the right to:
1. Confirmation that their personal data is being processed.
2. Access to their personal data.
3. Receive a description of their personal data, including reasons for processing and whether their data will be shared with other organizations or people.
4. Request the deletion of their personal data when it is no longer needed for the purposes for which it was collected.
Submitting Requests
Data subjects can submit access or deletion requests to the Data Protection Officer (DPO) via email at This email address is being protected from spambots. You need JavaScript enabled to view it. or by mail to: Data Protection Officer ShareWord Global PO Box 3619, Guelph ON N1H 7A2
Responding to Requests
1. The DPO will verify the identity of the requester before processing any request.
2. Requests will be responded to within one month, extendable to three months for complex or numerous requests.
If a request cannot be fulfilled, the individual will receive an explanation and be informed of their option to contact Human Resources for further support.
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