STUDENTS’ PRIVACY NOTICE:
PRIVACY POLICY TERMS AND CONDITIONS
The Data Privacy Act of 2012 (DPA) regulates the processing of personal data in any format by the Lyceum of the Philippines – Davao, including both digital and hard copy personal data and all other formats. ‘Personal data’ is any information relating to a living individual, and ‘processing’ is any activity carried out involving personal data, including holding and storing it.
This statement establishes the University’s procedures governing the collection and release of student data and is provided to students at the application and registration stages. It includes information about how student data is used, and where it is supplied by the University to the Commission on Higher Education (CHEd), Technical Education and Skills Development Authority (TESDA), Department of Education (DepEd), Supreme Court, Legal Education Board (LEB), Civil Service Commission (CSC), Professional Regulations Commission (PRC) and other external parties.
The Lyceum of the Philippines -Davao is the data controller for all personal data that it holds and processes, except where it is done in the capacity of a data processor on behalf of another data controller. The school controller contact details are:
Lyceum of the Philippines Davao
Davao Campus: Km. 11, LPU Drive, C.P Garcia Highway, Buhangin 8000, Davao City
The Data Protection Officer
Email: privacy@lpudavao.edu.ph
NOTIFICATION TO APPLICANTS AND REGISTERED STUDENTS
The Lyceum of the Philippines – Davao may obtain, hold and process the personal data of students including personal details, family and social circumstances, education and training records, employment information, financial details, and services provided. It may obtain, hold, and process the sensitive personal data (the term used by the DPA) of students including racial or ethnic origin, religious or philosophical beliefs, biometric data, and physical or mental health.
Personal data and sensitive personal data held by the institution relating to students is obtained directly from the student or applicant and parents for those below 18 years in age.
The Lyceum of the Philippines – Davao holds the personal data and sensitive personal data of its students to implement and manage all services and processes relating to students, including student recruitment, admission, registration, teaching, and learning, examination, graduation, and other services such as accommodation, student support and careers. Only information required for these purposes is obtained and processed, and without it the institution may not be able to provide its services. Information is passed between various sections of the institution for operational reasons as is necessary and proportionate for intended purposes.
Student personal data is collected and processed by the institution as it is necessary for the performance of the contract under which the institution provides services to students. Some processing activities may also be carried out under a legal obligation (for example, disclosing personal data to external parties under statutory powers), where it is necessary to protect the vital interests of the student or another party (for example, disclosures to external parties to ensure the safety and wellbeing of individuals), where it is necessary for the performance of a task carried out in the public interest or in the exercise of official authority (for example, collecting or disclosing information in order to meet regulatory or statutory requirements), or where it is necessary for legitimate interests pursued by the institution or a third party (the legitimate interests will relate to the efficient, lawful, and proportionate delivery of services and will not be to the detriment of the interests or rights of individuals). Where any of these legal bases do not apply, the consent of an individual to process their personal data will be sought.
Where students’ sensitive personal data is collected and processed by the institution this will be on the legal basis of explicit consent of the student, employment, or social security/protection requirements, protecting the vital interests of the student or another party, the exercise or defense of a legal claim, reasons of substantial public interest, purposes of medical or health care, or where the information has been made public by the student. Any processing will be proportionate and relate to the provision of services by the institution. When this data is used for monitoring and reporting purposes it will be anonymized if possible.
The institution may disclose student’s personal data and sensitive personal data to external agencies to which it has obligations; for example, for visa and immigration purposes, and to other arms of national or local government, to the Commission on Higher Education (CHEd), Technical Education and Skills Development Authority (TESDA), Department of Education (DepEd), Supreme Court, Legal Education Board (LEB), Civil Service Commission (CSC), Professional Regulations Commission (PRC) and potentially other such organizations for defined purposes.
It may also disclose information to examining bodies, legal representatives, police, or security agencies, suppliers or service providers, survey and research organizations engaged by the institution, and regulatory authorities. With the consent of the student, personal and sensitive personal data may be released to other institutions/agencies or companies for purposes of employment, scholarship, further studies, licensure examinations abroad, immigration application and other purposes for the benefit of the student.
If students have unpaid debts to the institution at the end of their course, they may, at its discretion, pass this information to debt collecting agencies to pursue the debt.
The institution also uses student’s personal data as follows:
subject to review on a case-by-case basis, providing contact details to third party companies and organizations formally engaged by the institution to provide enhanced levels of service to support core activities;
disclosing information to external parties for safeguarding and duty of care purposes, for example to medical practitioners, insurance agencies and law enforcement agencies;
for the purposes of plagiarism detection, utilizing the on-line Turnitin plagiarism detection service; publication of the names of graduating students in the degree ceremony graduation programmed and yearbook; provide progress reports to sponsors of students (except relatives);
managing and controlling access to campus facilities and equipment;
investigating incidents that relate to student behavior and implementing disciplinary measures; sharing of grades between and among faculty members, and others with legitimate official need, for academic deliberations;
recording, generating and maintaining records, whether manually, electronically, through Radio Frequency Identification (RFID) or other means, of class attendance and participation in curricular, co-curricular and extra-curricular activities;
processing confirmation of incoming students and transfer students in preparation for enrollment; evaluating applications for admission to LPU Davao;
Publication of names of dean’s lister; produce diplomas, transcripts of records (TOR) and true copy of grade (TCG) for students;
establishing and maintaining student information systems;
processing academic awards, scholarship applications, grants and other forms of assistance; providing services such as health, counseling, information technology, library, sports/recreation, transportation, parking, campus mobility, safety and security;
provide contact details to the LPU Davao Student Government to enable it to offer appropriate services to students. Please contact Student Affairs Office if you do not want your contact details shared with the JCSSC and CSSC; provide references to education institutions and employers, usually with the consent of the student or graduate; disclose information about students and graduates for the purpose of promoting the institution, and to their former schools for the purposes of school’s liaison, but only with the consent of the student or graduate if they are personally identified;
supply personal and financial details to providers of financial services engaged by the institution, for example for the payment of fees, refunds, loans and similar services;
graduates of the University are still able to access Center of Career Servicers and Industry Relations Service support and resources, and may be contacted after graduation by the unit to offer ongoing support with career plans, including coaching and job opportunities;
proving academic records of student athletes to sports organizations.
On graduating, all students automatically become members of LPU Alumni Association. They receive the opportunity to remain in touch with fellow graduates and to be kept up to date on institution news, events, products, services, and opportunities to support the University. If you do not wish to receive these communications, you must notify the Alumni Affairs/ Student Affairs Office – this can be done at any time after you graduate.
In some instances, the institution may transfer students’ personal data to third parties located in other countries. Any such transfers will be strictly in relation to the delivery of the institution’s core services, including to partner institutions abroad. Personal data may be shared with international agents that the institution uses for the delivery of services to overseas students. All instances of overseas transfers of personal data are subject to appropriate technical safeguards and contractual provisions incorporating appropriate assurances to ensure the security of the data and full compliance with legislative and regulatory requirements. In cases that a student needs to be referred to a psychologist and/or psychiatrist for the evaluation/assessment of his/her mental health condition, the Guidance and Testing Center will provide a description of the symptoms being manifested in a referral letter. The referral letter will be sent to a hospital or mental health institution with the full consent of the student involved. The student preferably with his/her guardian shall personally hand over the referral letter to the psychologist and/or psychiatrist.
Some sections of the institution undertake processes involving applicant or student personal data that include elements of profiling. Examples are some support units, including the Office of Student Affairs Service and Registrar’s Office, where these processes are employed to determine the nature of communications sent to individuals and to facilitate student recruitment and admissions procedures.
If you have any queries about the use of student personal data outlined above, then please contact your campus Data Protection Officer / Compliance Officer for Privacy.
STORAGE & RETENTION OF YOUR INFORMATION
Your personal data is stored and transmitted securely in a variety of paper and electronic formats, including databases that are shared between the University’s different units or offices. Access to your personal data is limited to university personnel who has a legitimate interest in them for the purpose of carrying out their contractual duties. Rest assured that our use of your personal data will not be excessive.
A basic academic record for individual students will be kept permanently by the institution, with more detailed records kept for defined retention periods. Details of the retention periods attributed to different elements of student records are defined in the Academic Integrated Management System (AIMS) retention policies.
SUBMISSION OF YOUR INFORMATION TO GOVERNMENT AGENCIES
It is a statutory requirement for the institution to send some of the information we hold about you to these government agencies every year: CHED as the official source of data about higher educational institutions, TESDA for technical-vocational institutions, DepEd for basic education institutions, Professional Regulation Commission (PRC) for those who intend to take licensure examinations, Supreme Court for those intending to take the Bar Examinations, Legal Education Board for graduating law students as a requirement for graduation, the Civil Service Commission (CSC) for honor graduates for civil service eligibility. These agencies collect, and is responsible for, the database in which your information is stored. These agencies also share your information with third parties for specified and lawful purposes. It may charge other organizations to whom it provides services and data. These agencies use of your information may include linking information from it to other data. All uses of information must comply with the Data Privacy Act of 2012 and Its Implementing Rules and Regulation.
If you give us information about your / your child disability status, ethnicity, sexual orientation, gender reassignment or religion these may be included in your CHED information and used to assist with monitoring equality of opportunity and eliminating unlawful discrimination in accordance with the Gender Sensitivity. Some other sensitive information is used to enable research into the provision of fair access to higher education. Your sensitive personal data will not be used to make decisions about you.
OTHER WAYS OF SHARING, DISCLOSING & TRANSFERRING OF YOUR INFORMATION
To the extent permitted or required by law, we may also share, disclose, or transfer your personal data to other persons or organizations to uphold your interests and/or pursue our legitimate interests as an educational institution. For example, we may share, disclose, or transfer your personal data for purposes such as. providing information such as class lists and photos to partner hospitals, local health centers and other similar organizations;
publication of communications with journalistic content, such as news information in school publications, and social media sites;
live streaming of university events;
use of photos, videos, and other information in order to promote the school, including its activities and events, through marketing or advertising materials, such as brochures, website posts, newspaper advertisements, physical and electronic bulletin boards, and other media;
sharing your academic accomplishments or honors and co-curricular or extra-curricular achievements with schools you graduated from or were previously enrolled in, upon their request;
publishing academic, co-curricular, and extra-curricular achievements and success, including honors lists and names of awardees in school bulletin boards, website, social media sites, and publications;
conducting internal research or surveys for purposes of institutional development; complying with court orders, subpoenas and/or other legal obligations;
sharing of information with entities or organizations (e.g., National Collegiate Athletic Association and other sports bodies) for determining eligibility in sports or academic competitions, as well as other similar events;
sharing of information with entities or organizations (e.g. Philippine Association of Colleges and Universities Commission on Accreditation and QS World University Rankings) for accreditation and university ranking purposes;
distribution of the list of graduates and awardees in preparation for and during commencement exercises; publication of scholars’ graduation brochure for distribution to donors, funders, or benefactors; sharing of some information to donors, funders, or benefactors for purposes of scholarship, grants, and other forms of assistance;
sharing of your personal data with your parents, guardians, or next of kin, as required by law, or on a need-to-know basis, as determined by the institution, to promote your best interests, or to protect your health, safety, and security, or that of others;
posting of acceptance to the institution, awarding of financial aid and merit scholarship grants, class lists, class schedules, online, in school bulletin boards, or other places within the campus. If you have any queries about how we share your information outlined above, then please contact your campus Data Protection Officer, for Privacy.
STUDENT SURVEYS
Approximately six months after you graduate, the institution thru Academic and Research Office may contact you to ask you to fill in the Graduate Tracer Form. You may also be contacted as part of an audit to check that we have undertaken this process properly. We will not give your contact details to any third parties.
The institution also conducts Customer Experience Survey (CXS), Student Experience Survey (SES) and Post Event Survey (PES) for the improvement of its programs and services.
There is no requirement for you to take part in any of process, but participation assists the institution, as well as government and regulatory bodies, in performing their statutory, official, and public duties. If you do not want to take part in any of this survey, please contact the Data Protection Officer.
MONITORING OF IT SYSTEMS AND ACCOUNTS
Students should also be aware that, in certain circumstances, the institution may monitor usage of its IT systems and access user information on its systems and networks that is normally private. Any institutional monitoring or access will comply with legislation including the Data Privacy Act of 2012 and its Implementing Rules and Regulation. Where necessary any access or monitoring will be justifiable, fair, and proportionate, and will be in line with the LPU IT Usage Monitoring and Access policy.
USE OF PERSONAL DATA IN RESEARCH
Student members of the institution are permitted to process personal data only for usein connection with their academic studies or research. They may do this only with the express prior permission of their supervising member of staff, and only in accordance with any guidance or Code of Practice issued by the institution and in force at that time. This applies whether or not those activities are carried out on equipment owned by the institution and whether or not they are carried out on university premises. This means that the personal data must be fairly and lawfully obtained and processed; used only for specified and legitimate purposes; accurate and up to date; held securely; kept to the minimum possible and anonymized or pseudo-nymized where possible; not published, put online or taken outside of the country without the consent of the individual concerned; and be deleted or destroyed when it is no longer relevant to retain it. The individuals about whom data are held are entitled to inspect the data unless it is held only for research purposes and will not be released in such a way as to identify the individuals concerned.
Students needing to process personal data for academic or research purposes must make themselves aware of the general requirements of the Data Privacy Act of 2012 and its Implementing Rules and Regulation, and in particular must abide by the data protection principles. Students can do this by obtaining a copy of the institution’s current guidance on data protection, and further relevant information from their supervising member of staff.
Students who fail to comply with any guidance or Code of Practice in force may be held personally liable for any resulting breaches of the Data Privacy Act of 2012.
INDIVIDUAL RIGHTS
Individuals whose personal data and sensitive personal data is held by the University have the following rights regarding their data:
The right to be informed – As a data subject you have the right to be informed that your personal data shall be, are being or have been processed.
The right to access –concomitant to your right to be informed, you also have the right to gain reasonable access to your personal data.
The right to object – Students can object to the processing of their personal data by the University in certain circumstances, including the sending and receipt of direct marketing material.
The right to erasure and blocking –Under the law, you have the right to suspend, withdraw or order the blocking, removal, or destruction of your personal data. This will only apply where there is no legitimate reason for the University to continue to process the personal data. There will usually be a requirement for the University to keep a basic student record indefinitely.
The right to damages – you may claim compensation if you suffered damages due to inaccurate, incomplete, outdated, false, unlawfully obtained, or unauthorized use of personal data, considering any violation of your rights as a data subject.
The right to file a complaint – If you are the subject of a privacy violation or personal data breach, or who are otherwise personally affected by a violation of the DPA may file a complaint.
The right to rectification – You has the right to dispute any inaccuracy or error in your personal data and have the personal information controller correct it immediately, unless the request is vexatious or unreasonable.
The right to data portability – allows you to manage your personal data, and to transmit your data from one personal information controller to another. All requests to exercise any of these rights should be made to the Data Protection Officer.
Where the processing of personal data or sensitive personal data is based on the consent of the student, they have the right to withdraw their consent at any time by contacting the department or service who obtained that consent or the Data Protection Officer.
If a student is unhappy with the institution’s handling of their personal data or believes that the requirements of the DPA may not be fully complied with, they should contact the Data Protection Officer in the first instance.
MODIFICATIONS OF TERMS AND CONDITIONS
LPU reserves the right to make changes to these Terms and Conditions at any time. Unless the changes in the Terms and Conditions are for legal or administrative reasons, LPU will provide reasonable advance notice before the Updated Terms become effective by posting the Updated Terms on this site. Your use of the site after the effective date of the Updated Terms constitutes your agreement to the Updated Terms. You should review these Terms and Conditions and Updated Terms before using the Site.
Updated: June 1, 2024