What is this Data Protection Policy?
This Data Protection Policy describes the categories of personal data 42nd Chester Scout Group process and for what purposes. 42nd Chester Scout Group are committed to collecting and using such data fairly and in accordance with the requirements of the General Data Protection Regulations (GDPR), the regulations set by the European Union, and Data Protection Act 2018 (DPA 2018), the UK law that encompasses the GDPR. This Data Protection Policy applies to members, parents/guardians of youth members, volunteers, employees, contractors, suppliers, supporters, donors and members of the public who will make contact with 42nd Chester Scout Group.
Who we are
42nd Chester Scout Group are an excepted charity by the Charity Commission for England & Wales. The Data Controller for 42nd Chester Scout Group is the Trustee Board who are appointed at an Annual General Meeting and are Charity Trustees. The Chair of the Charity Trustees is Richard Johnson and is contactable via email on richard.johnson@cheshirescouts.org.uk. From this point on 42nd Chester Scout Group will be referred to as “we”. Where possible we have access to a volunteer assuming the role of Data Lead.
The data we may process
The majority of the personal information we hold, is provided to us directly by you or by the parents or legal guardians of youth members verbally or in paper form, digital form or via our online membership systems. In the case of adult members and volunteers, data may also be provided by third parties, such as the England & Wales Disclosure and Barring Service (DBS).
Where a member is under the age of 18, this information will only be obtained from a parent or guardian and cannot be provided by the young person.
We may collect the following personal information:
The lawful basis we process your data by
We comply with our obligations under the GDPR and DPA 2018 by keeping personal data up to date; by storing and destroying it securely; by not collecting or retaining excessive amounts of data; by protecting personal data from loss, misuse, unauthorised access and disclosure and by ensuring that appropriate technical measures are in place to protect personal data.
In most cases the lawful basis for processing will be through the performance of a contract for personal data of our adult volunteers and legitimate interest for personal data of our youth members. Sensitive (special category) data for both adult volunteers and our youth members will mostly align to the lawful basis of legitimate activities of an association. Explicit consent is requested from parents/guardians to take photographs of our members, where such photographs place the data subject as the focal point of the shot. On occasion we may use legitimate interest to process photographs where it is not practical to gather and maintain consent such as large-scale events. On such occasions we will make it clear that this activity will take place and give individuals the opportunity to exercise their data subject rights.
We use personal data for the following purposes:
We use personal sensitive (special) data for the following purposes:
Our retention periods
We will keep certain types of information for different periods of time in line with The Scout Association’s Data Retention Policy. The Scout Association’s Data Protection Policy can be found here and the Data Retention Policy can be found here.
Joint control of membership data
The Scout Association and 42nd Chester Scout Group process the data of members, parents/guardians of youth members, and volunteers on our membership databases. Volunteer data is processed between the local Scout Groups and The Scout Association (members, parents/guardians of youth members data is only held by 42nd Chester Scout Group ). Information The Scout Association and 42nd Chester Scout Group hold about volunteers may include the following:
Processing Activities
The following is a list of common data processing activities for members, parents/guardians of youth members, volunteers data on the membership systems. This includes an indication of which entity carries out this activity which is shared with the other.
| Processing Activity | Description | Processing Entity |
| Scout Member Capture | Initial data load of a new Scout Member onto the membership database | 42nd Chester Scout Group |
| Scout Member disclosure check | Disclosure checks for any adult Scout Members that require them | 42nd Chester Scout Group initiate
The Scout Association complete the check |
| Scout Member operational administration
|
This may include:
Scout Member data updates Maintaining training record Events attended Permits approved Badges awarded |
42nd Chester Scout Group
and The Scout Association |
| Scout Member disciplinary
|
Scout Member disciplinary detail capturing where a Scout Member has breached POR or any other Scout policy | 42nd Chester Scout Group initiate
The Scout Association involved if severity meets a policy threshold
|
| Scout Member leaving
|
The updating of an individual’s membership status post leaving the association. | 42nd Chester Scout Group |
| Scout Member data reporting | Reporting on trends and monitoring data to be able to demonstrate The Scouts impact and to attract funding (this may include optional special category data of the Scout Members) | The Scout Association
42nd Chester Scout Group may access special category data for Census and local Scouting delivery |
| Scout Member Training | The addition of mandatory training for Scout Members, where applicable | The Scout Association |
| Scout Member roles definition | The definition of Scout Member roles on the membership databases | The Scout Association |
Sharing your information
Young people and other data subjects We will normally only share personal information with adult volunteers holding an appointment in the 42nd Chester Scout Group Adult volunteers We will normally only share personal information with adult volunteers holding appropriate appointments within the line management structure of The Scout Association for the 42nd Chester Scout Group as well as with The Scout Association Headquarters as independent data controllers. All data subjects We will however share your personal information with others outside of 42nd Chester Scout Group where we need meet a legal obligation. This may include The Scout Association and its insurance subsidiary (Unity Insurance Services), local authority services and law enforcement. We will only share your personal information to the extent needed for those purposes.
We will only share your data with third parties outside of the organisation where there is a legitimate reason to do so.
We will never sell your personal information to any third party.
Sometimes we may nominate a member for national awards, (such as Scouting awards or Duke of Edinburgh awards) such nominations may require us to provide contact details and award nomination details, such as citations to that organisation. We may also share data on award nominees for National Honours Awards, including the same data as above.
Where personal data is shared with third parties we will seek assurances that your personal data will be kept confidential and that the third party fully complies with the GDPR and DPA 2018.
How we store your personal data
We generally store personal information in the following ways:
The Scout Association Online Membership System – this is used for the collection and storage of adult volunteer personal data.
Online Scout Manager – is the online membership system of Online Youth Manager, this system is used for the collection and storage of youth member personal data.
In addition, adult volunteers may hold some personal data on local spreadsheets/databases.
Printed records and data held while attending events – paper is sometimes used to capture and retain some data for example:
Paper records for events are used rather than relying on secure digital systems, as often the events are held where internet and digital access will not be available. We will minimise the use of paper to only what is required for the event.
Further processing
If we wish to use your personal data for a new purpose, not covered by this Data Protection Policy, then we will provide you with a new information or an updated Policy explaining this new use prior to commencing the processing and setting out the relevant purposes and processing conditions. Where and whenever necessary, we will seek your prior consent to the new processing.
How we provide this Data Protection Policy
A link to this website page is provided to those whose data is being processed by us. A printed version is also available on request.
Your rights
As a Data Subject, you have the right to object to how we process your personal information. You also have the right to access, correct, sometimes delete and restrict the personal information we use. In addition, you have a right to complain to us and to the Information Commissioner’s Office (www.ico.org.uk).
Unless subject to an exemption under the GDPR and DPA 2018, you have the following rights with respect to your personal data:
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Who to contact
If you have any queries relating to this Data Protection Policy or our use of your personal data, please contact us by email at dataprotection@42ndchester.org.uk.
Version number and date of last review
Version 1 – June 2026