CipleMaster is part of Vermilion Group, a highly-recognized global player in the educational industry. Founded in 2008, Vermilion Group includes several companies working at all age levels to shape the education of tomorrow and increase accessibility
to high-quality learning.
Vermilion Group works with exceptional individuals, organizations, and businesses with the aim of fast-tracking our students’ careers and providing top talent to drive tomorrow’s business successes. Email: [email protected]
Vermilion Group Limited
Hong Kong
Ciple Master is committed to protecting the privacy and security of personal information which includes the personal data of our staff, customers and other third parties. This Data Protection Policy sets out the minimum standards which must be complied with by the Company.
This Policy sets out how Ciple Master services (which includes sister companies UCADEMICS, LDA. and VERMILION GROUP LIMITED) (“Company”, “we”, “our” or “us”) identifies and manages its Data Protection responsibilities in accordance with its legal and regulatory obligations.
It is important for staff and customers (“you”, “your”) to understand the scope of the data protection legislation to enable us to comply with the legislation. This Policy sets out your responsibilities in relation to the data protection legislation, and applies to the entirety of employees, customers and where appropriate third parties working for, or on behalf of Ciple Master. It is your responsibility to familiarise yourself with this Policy to ensure compliance.
Please be aware that we use secure Customer Relationship Management tools such as ZOHO.eu to process application data. You can view ZOHO’s GDPR compliance information online at www.zoho.com/gdpr.html
The Board of Directors have overall responsibility to ensure Ciple Master meets its legal and regulatory responsibilities under GDPR, and to ensure compliance with this Policy. However all staff including University Advisors, Admissions Officers, Placement Workers and Administration Managers all take responsibility for compliance under their employment.
We use personal data in order to offer professional advisory and application services to our customers. It is important that the way we use (or “process”) that personal data is compliant with the GDPR effective immediately.
Employees must contact the Company Director in the following circumstances:
Anyone processing personal data on behalf of the Company must comply with the six principles of GDPR in order to be legally compliant with the Regulation.
Personal data must be:
Personal Data must be processed lawfully, fairly and in a transparent manner in relation to the Data Subject.
The GDPR only allows Processing for specific purposes. These are known as the lawful grounds of processing or the conditions of processing. You need to comply with one of these grounds to make the Processing lawful and in compliance with the data protection legislation. The most relevant are set out below:
Consent
Consent needs to be a clear indication of agreement either by a statement or positive action to the Processing by the Data Subject. Consent requires affirmative action. If Consent is given in a document which deals with other matters, then the Consent must be kept separate from those other matters. Data Subjects must be easily able to withdraw their Consent to Processing at any time.
Any withdrawal must be promptly acted upon. Consent may need to be refreshed on a regular basis. Ciple Master needs to evidence any Consent that it relies on and retain a record of all Consents so that we can demonstrate that we have obtained the right Consent for the right processing activities.
Transparency
The GDPR requires Data Controllers to provide detailed, specific information to Data Subjects depending on whether the information was collected directly from Data Subjects or from elsewhere. Such information must be provided through appropriate Privacy Notices or Fair Processing Notices which must be concise, transparent, intelligible, easily accessible, and in clear and plain language so that a Data Subject can easily understand them.
Whenever we collect Personal Data directly from Data Subjects, including for human resources or employment purposes or from customers, we must provide the Data Subject with all the information required by the GDPR.
When Personal Data is collected indirectly (for example, from a third party or publically available source), we must provide the Data Subject with all the information required by the GDPR as soon as possible after collecting/receiving the Personal Data. We must also check that the Personal Data was collected by the third party in accordance with the GDPR and on a basis which considers our proposed Processing of that Personal Data i.e. that the individual knew that their Personal Data was going to be passed to us and for what purposed.
This means that all the third parties that we work with who Process Personal Data collected by Ciple Master should also comply with the GDPR.
Personal Data must be collected only for specified, explicit and legitimate purposes. It must not be further processed in any manner incompatible with those purposes.
We cannot use Personal Data for new, different or incompatible purposes from those disclosed to the Data Subject when it was first obtained.
This means if we collect Personal Data for one purpose, we shouldn’t then use it for another purpose unless we tell the Data Subject what we are going to do and we have a legal ground to undertake that Processing.
Personal Data must be adequate, relevant and limited to what is necessary in relation to the purposes for which it is processed.
We may only collect Personal Data that you require for the services rendered and duties: we do not collect excessive data. We may only Process Personal Data when performing our services requires it. We cannot Process Personal Data for any reason unrelated to service rendered. We should ensure any Personal Data collected is adequate and relevant for the intended purposes. We shouldn’t be collecting any field of Personal Data that is not necessary to the reason we are collecting it.
Staff must ensure that when Personal Data is no longer needed for specified purposes, it is deleted or anonymised in accordance with our data retention guidelines. It is also important that any records are destroyed and/ or deleted in accordance with our Data Retention Schedule, as safe and secure destruction is also required to comply with the data protection legislation.
Personal Data must be accurate and, where necessary, kept up-to-date. It must be corrected or deleted without delay when inaccurate.
Ciple Master must ensure that the Personal Data we use and hold is accurate, complete, kept up- to-date and relevant to the purpose for which we collected it.
We must check the accuracy of any Personal Data at the point of collection and at regular intervals afterwards. Ciple Master must take all reasonable steps to destroy or amend inaccurate or out-of-date Personal Data.
Personal Data must not be kept in an identifiable form for longer than is necessary for the purposes for which the data is processed.
Ciple Master must not keep Personal Data in a form where the Data Subject could be identified for longer than needed for the purpose or purposes for which we originally collected it (including for the purpose of satisfying any legal, accounting or reporting requirements).
We will maintain the Data Retention Schedule to ensure Personal Data is deleted after a reasonable time for the purposes for which it was being held, unless a law requires such data to be kept for a minimum time. You must comply with our Data Retention Policy.
Ciple Master must ensure Data Subjects are informed of the period for which data is stored and how that period is determined in any applicable Privacy Notice or Fair Processing Notice.
Personal Data must be secured by appropriate technical and organisational measures against unauthorised or unlawful Processing, and against accidental loss, destruction or damage.
We will develop, implement and maintain safeguards appropriate to our size, scope and business, our available resources, the amount of Personal Data that we own or maintain on behalf of others and identified risks (including use of encryption). We will regularly evaluate and test the effectiveness of those safeguards to ensure security of our Processing of Personal Data.
Employees are responsible for helping Ciple Master protect the Personal Data we hold. They must comply with security measures against unlawful or unauthorised Processing of Personal Data and against the accidental loss of, or damage to, Personal Data. You must exercise particular care in protecting Special Category Personal Data from loss and unauthorised access, use or disclosure.
You must follow all procedures and technologies we put in place to maintain the security of all Personal Data from the point of collection to the point of destruction.
If you are transferring Personal Data to a third party, or if you want to transfer Personal Data to a third party, and you are in any doubt as to whether there is a lawful basis or appropriate contract in place, you should speak to the Ciple Master’s Director before transferring the Personal Data.
Employees must maintain data security by protecting the confidentiality, integrity and availability of the Personal Data, defined as follows:
Employees must comply with, and not attempt to circumvent, the administrative, physical and technical safeguards we implement and maintain in accordance with the GDPR and relevant standards to protect Personal Data.
The GDPR requires Data Controllers to notify any Personal Data Breach to the applicable Regulator and, in certain instances, the Data Subject.
We have put in place procedures to deal with any suspected Personal Data Breach and will notify Data Subjects and/or any applicable regulator where we are legally required to do so. If you know or suspect that a Personal Data Breach has occurred, immediately notify the point of contact for Personal Data Breaches at [email protected]
The GDPR restricts data transfers to countries outside the EEA in order to ensure that the level of data protection afforded to individuals by the GDPR is not undermined. You transfer Personal Data originating in one country across borders when you transmit, send, view or access that data in or to a different country.
All application data collected by Ciple Master is processed at the Vermilion Group Admissions Centre based in Lisbon, Portugal, within the EEA.
Ciple Master may only transfer Personal Data outside the EEA if one of the following conditions applies:
Data Subjects have rights when it comes to how we handle their Personal Data.
These include rights to:
All requests should be sent to [email protected] with the Subject Line ‘Ciple Master GDPR Request’.
A Data Subject’s prior consent is required for electronic direct marketing (for example, by email, text or automated calls).
The right to object to direct marketing must be explicitly offered to the Data Subject in an intelligible manner so that it is clearly distinguishable from other information.
A Data Subject’s objection to direct marketing must be promptly acted upon. If a student, alumni member or other Data Subject opts out at any time, their details should be suppressed as soon as possible. Suppression involves retaining just enough information to ensure that marketing preferences are respected in the future.
The Data Controller must implement appropriate technical and organisational measures in an effective manner, to ensure compliance with data protection principles. The Data Controller is responsible for, and must be able to demonstrate, compliance with the data protection principles.
This means that we must have adequate resources and controls in place to ensure and to document GDPR compliance including:
We are required to implement Privacy by Design measures when Processing Personal Data by implementing appropriate technical and organisational measures in an effective manner, to ensure compliance with data protection principles.
We reserve the right to change this Data Protection Policy at any time so please check back regularly to obtain the latest copy of this Data Protection Policy. We will notify you when we update this Policy.
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