JumpYard Kamerabevakning policy

Camera Surveillance Policy

JumpYard’s guidelines for camera surveillance.

JumpYard Camera Surveillance Policy

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At JumpYard, we always strive to improve. An important part of our improvement work is our camera surveillance, where recordings can, for example, help us learn from and benefit from accidents in order to understand how these can be prevented and avoided in the future.

JumpYard’s parks are equipped with camera surveillance to increase the safety and security of our guests, our staff, and to protect our property. Surveillance takes place:

• In the park – or in other areas where activities take place – incidents and injuries are recorded with the purpose of:
Learning more about how and why accidents and injuries occur so they can be prevented.
Using recordings of incidents for insurance, health, and/or training purposes.
Following up on staff actions before, during, and after accidents for improvement and training purposes.

• At entrances and reception areas to increase security and to be able to follow up on possible break-ins, thefts, or robberies.

Summary
JumpYard strives for openness and transparency in how we collect, process, and share your personal data. As a supplement to our privacy policy, we have developed this policy for camera surveillance of our parks within the EU/EEA (Norway, Sweden, Denmark, and Iberia). The legislation governing camera surveillance is set out in the General Data Protection Regulation (GDPR) and, in Sweden, also in the Camera Surveillance Act.

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Our parks are equipped with camera surveillance with video recording, and in some cases also audio. If a person can be identified through the recording, this constitutes personal data.

The purpose of the camera surveillance and processing of recordings is to prevent and investigate crime, accidents, and vandalism, and when necessary, assist the police and prosecutors in cases of suspected or confirmed crime. The aim is to increase the safety and security of our guests, our staff, and to protect our property.

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The legal basis for processing your personal data in connection with camera surveillance is a so-called balancing of interests in accordance with Article 6(1)(f) of the GDPR. We have assessed that the need for camera surveillance outweighs the intrusion into privacy that surveillance may entail for you as a guest. Our assessment is particularly based on the fact that accidents do occur, which we wish to prevent in order to provide the safest possible guest experience. Furthermore, we have ensured that only a limited number of people have access to the recordings and that the material is used solely for the purposes specified above.

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Recordings are stored only as long as necessary to fulfill the purposes for which they were collected under this policy, but never longer than 30 days, after which they are automatically deleted. We may retain recordings for longer than 30 days if required to meet legal obligations or protect legal interests, for example if legal proceedings are ongoing.

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Your privacy is very important to us. We have ensured that only a limited number of employees have access to the recordings. Your information may also be processed by so-called data processors, i.e., companies we use for surveillance, security, camera systems, error reporting, and customer support. These parties cannot use your personal data for any other purpose than delivering the services they are contracted for, and only under the conditions we specify.

The recorded material is stored in countries approved under GDPR. Information may also be processed by the police, for example in the event of a police report or legal proceedings.

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You have the right to know which personal data we process about you. You also have the right to request that we correct or delete your information. In addition, you have the right to request that we restrict the processing of your personal data and the right to object to our processing of them.

If you believe that we have violated the rules for processing personal data, or if you have other questions about personal data, you can contact your national data protection authority.

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JumpYard Concepts AB

St Eriksgatan 117
113 43 Stockholm
Sweden

Org. no.: 559055-6717
gdpr@jumpyard.se