Since some of the establishments will be reopening under the MEQC and GCQ, processing of personal data will play a role in preventing further spread of Covid19. Under the DTI and DOLE Interim Guidelines on Workplace Prevention and Control of Covid-19, there are measures that should be implemented in all workplaces consistent with the objectives ofContinue reading “Mandatory Data Processing Activities during MECQ and GCQ”
Tag Archives: RA 11332
April 4, 2020 Comment re Joint Statement of IBP, PMA, and PCS
IDENTITY DISCLOSURE OF COVID19 PATIENT WILL NOT PREVENT THE SPREAD OF VIRUS
There are people who are lobbying for the public disclosure of the name/identity of the covid19 patient/person under investigation (PUI)/person under monitoring (PUM) for the reason of public health/safety concern. In evaluating the validity of this proposition, the questions, answers, and illustrations below will help us better understand the relevance/irrelevance of the said disclosure toContinue reading “IDENTITY DISCLOSURE OF COVID19 PATIENT WILL NOT PREVENT THE SPREAD OF VIRUS”