CID 17 047 JV v. JR Decision PSD 10aug2020
CID 17 047 JV v. JR Decision PSD 10aug2020
CID 17 047 JV v. JR Decision PSD 10aug2020
JV,
Complainant,
DECISION
AGUIRRE, D.P.C.
These Proceedings
5th Floor West Banquet Hall (A. Imao Hall), Delegation Building, PICC Complex
URL: http://privacy.gov.ph Email Address: info@privacy.gov.ph
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NPC Case No. 17-047
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Facts
The complainant filed and paid for a copy of his birth certificate from
the Philippine Statistics Authority (PSA) through the Customer
Service Center of the SM Store at SM Bicutan.
When the complainant returned for his birth certificate, he noted the
SM personnel pull his birth certificate from a folder on her desk. He
also noted that his birth certificate was kept together with the birth
certificates of other people and that another person’s Certificate of No
Marriage was lying on another table, accessible to any of the other
personnel of SM Store.
The complainant then asked for an envelope for his birth certificate.
Janice told Joselito that no envelopes were to be given, as the PSA did
not provide envelopes for the purpose.
4 Id., at p. 3.
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NPC Case No. 17-047
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the PSA-issued documents, who are also under the supervision of the
respondent, may not be authorized to handle them.5
The complainant also feels that any complaint filed with SM Store will
not be treated fairly; he acknowledges that he has filed a prior
complaint against the same respondent for being arrogant and
unprofessional in a previous transaction.6
The respondent claims that as a mere conduit of the PSA, she had no
obligation to place the birth certificate in an envelope when the PSA
provided no such envelope for the purpose; the PSA hands over all
documents to be released in just one envelope for every request made
in one certain day.
The respondent maintains that there was no data breach, and as such,
no criminal liability for unauthorized disclosure under Section 32 of
the Data Privacy Act, because only authorized employees of SM Store
were at the counter, at all material times in this complaint; Janice
released the complainant’s birth certificate to the complainant only.11
For the respondent, Philippine data privacy laws do not require that
every document containing personal data be separated individually
5 Id., at p. 1.
6 Ibid.
7 Id., at p. 30.
8 Id., at p. 29.
9 Ibid.
10 Ibid.
11 Id., at p. 30.
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NPC Case No. 17-047
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The complainant claims that any photo and video taken was for
evidentiary purposes; 14 the public nature of the incident removes any
reasonable expectation of privacy for Janice and the respondent.
Issues
Discussion
On the procedural aspect of the case, NPC Circular 16-04 provides for
the form and content of Complaints, thus:
14 Id., at p. 102.
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NPC Case No. 17-047
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all of which show: (a) the violation of the Data Privacy Act or
related issuances; or (b) the acts or omissions allegedly
committed by the respondent amounting to a privacy
violation or personal data breach. The complaint must include
any and all reliefs sought by the complainant.15
From the narration of events, this Complaint stems from the admitted
fact that the birth and other certificates being released at the customer
service counter in SM Bicutan were not sealed or covered individually.
On the basis of this, complainant alleges that his privacy was violated
without specifying either the provisions of the Data Privacy Act that
were violated or the acts constituting a violation of those provisions
despite what NPC Circular 16-04 requires.
One of the criteria provided under Sections 12 and 13 of the Act for the
lawful processing of both personal and sensitive personal information
is consent of the data subject. This consent must be specific to the
purpose declared prior to the processing.
A person requesting his birth certificate from the PSA is asked to fill
out an application form for the issuance of his birth certificate.
In the application form, the requester signifies his consent for the
processing of his birth certificate for the purpose of releasing it to him.
The requester also has the option to avail the services of PSA through
their accredited partners, in this case, SM Store.16
It is in this context that the Data Privacy Act of 2012 was enacted – “to
protect the fundamental human right of privacy of communication
20 Ibid.
21 Ibid.
22 G.R. No. 127685, 292 SCRA 141, 23 July 1998.
23 Ibid.
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NPC Case No. 17-047
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The Data Privacy Act now grants certain, specific rights to individuals
whose personal information and sensitive personal information
(collectively, “personal data”) is processed. As an overview, these
include their right to be informed about the nature and scope of its
processing; to access the personal data collected from them; to correct
any inaccuracy in the personal data used by other entities; to remove
their personal data from another entity’s system; and to be
indemnified of any damages sustained due to such inaccurate,
incomplete, outdated, or unauthorized use of their personal data.28
Lopez v. Civil Service Commission, G.R. No. 87119, 16 April 1991, citing Butuan
Sawmill, Inc. v. City of Butuan, No. L-21516, April 29, 1966, 16 SCRA 755.
27 See generally, Articulating the Complete Philippine Right to Privacy in Constitutional
and Civil Law, 82(4) PHIL. L.J. 78 (2008), cited in Pollo v. David, G.R. No. 181881, Oct. 18,
2011 (Bersamin, J., separate opinion).
28 Data Privacy Act, §16
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NPC Case No. 17-047
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order and safety; or for a public authority to fulfill its mandate. The
Act also considers legitimate interests pursued by an entity, subject to
certain provided exceptions. Furthermore, the Act provides a special
category of personal information29 that is prohibited from being
processed, except on certain grounds. Subject to qualifications
provided for in the law itself, these include: consent of the data subject,
existing laws and regulation, the protection of life and health, the
achievement of lawful and non-commercial objectives of public
organizations, treatment by a medical practitioner or a medical
treatment institution, and the protection of lawful interests in court or
the defense of legal claims.
The first part asks “whether by his conduct, the individual has
exhibited an expectation of privacy.”32 This expectation of privacy has
to be examined taking into consideration what the Act itself provides.
An individual’s expectation of privacy does not depend on a particular
29 Id., at § 4(l).
30 Id., at § 20.
31 Id., at § 11.
32 Ople v. Torres, G.R. No. 127685, 292 SCRA 141, 23 July 1998.
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NPC Case No. 17-047
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action on their part before they are granted the rights provided under
the law; these rights are not waived, and the obligations of controllers
and processors cannot be ignored simply because there is no overt
exhibition of this expectation of privacy. As to the second part, which
asks “whether this expectation is one that society recognizes as
reasonable,”33 this determination should be considered as having been
made when Congress and the President, as representatives of the
people, codified what data subjects should expect with regard to their
privacy.
33 Ibid.
34 Data Privacy Act, § 16.
35 Id., at § 11.
36 Id., at §§ 12 and 13.
37 See, EU General Data Protection Regulation, Recital 47.
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In this case, while it is correct to say that the complainant cannot expect
that only the PSA will handle his request for his birth certificate, it is
incorrect to say that “there is no longer a reasonable expectation that
the privacy of his birth certificate extends only to the PSA”39 and
therefore there is no privacy violation under the DPA. Following the
discussion above on the application of the reasonable expectation of
privacy test to informational privacy cases, determining whether the
privacy rights of the complainant were violated or not should be
rooted in the provisions of the Data Privacy Act.
From the facts of this case, the complainant clearly consented to the
Customer Service Center of the SM Store at SM Bicutan processing his
request for a birth certificate as an accredited partner of PSA when he
filed and paid for his request through them. Consent under Sections
12 (a) and 13 (a) of the Data Privacy Act served as the lawful basis for
the respondent as well as the authorized personnel of SM Bicutan and
PSA to process complainant’s request.
SM Bicutan, as an accredited
partner of PSA, has put in place
security measures. However,
these measures should be strictly
implemented.
While the Commission takes note of the security measures set out in
the respondent’s Comment, it follows that these measures should be
strictly implemented by the Company and its personnel and that
measures should be taken to ensure this. Also, while not rising to the
This is all the more true given the pictures taken by the complainant
showing a pile of certificates on the counter.41 This not only goes
against the policies of SM Bicutan outlined in the respondent’s
Comment but, more importantly, potentially endangers the data
subjects whose certificates were left where they may be seen by
persons transacting near the counter.
The complainant filed this case out of his apprehension that the
persons handling his request for birth certificate might misuse the
personal data contained in said certificate. He feels threatened because
he previously complained to the management of SM Bicutan the
person supervising the release his birth certificate.
40 Id., at p. 55.
41 Id., at p. 5.
42 798 SCRA 609. 17 July 2016.
43 Id., at p. 627.
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It is also worth noting that the NDAs of Respondent and JH were only
executed two days before the incident.49 SM Store should require their
employees to execute that document or some similar agreement at the
beginning of their employment, or at least before they are assigned to
handle documents containing personal data of their customers.
SO ORDERED.
(Sgd.)
Concurring:
(Sgd.) (Sgd.)
IVY D. PATDU RAYMUND ENRIQUEZ LIBORO
Deputy Privacy Commissioner Privacy Commissioner
COPY FURNISHED
JV
Complainant
Parañaque City
JR
Customer Service Manager
SM Store
Shoe Mart Bicutan
Parañaque City