MedConfidential,
here.
ICO's "Monetary Penalty Notice"
here.
"35. Pharmacy2U has obtained personal data unfairly because its online
registration form and privacy policy did not inform its customers that
it
intended to sell their details to third party organisations, in addition to
sending out its own marketing material. It would not be within a
customer’s reasonable expectation that this form of disclosure would
occur, even if they were willing to agree to the receipt of marketing
material from Pharmacy2U itself. If a customer wished to take up
Pharmacy2U’s offer to opt out of “Selected company data sharing”,
they also had to go to the
trouble of logging into their account and
changing the setting.
36. In addition, Pharmacy2U did not provide the further information that
was necessary to enable the processing in respect of its customers to
be
fair.
37. In the circumstances, Pharmacy2U’s customers did not give their
informed consent to the sale of their personal data to third party
organisations. Therefore Pharmacy2U did not have a lawful basis for
processing the data under Part I of Schedule 2 to the DPA.
73. The Commissioner has decided that it is appropriate to issue a
monetary penalty in this case, in light of the nature and seriousness of
the contravention, Pharmacy2U’s shortcomings in terms of its DPA
duties and the risks posed to a number of individuals. He has also
considered the importance of monetary penalties in
dissuading future
contraventions of the DPA and encouraging compliance, in accordance
with his policy."