1 / 17

Business Transactions in Alberta

Business Transactions in Alberta. New Mandatory Privacy Provisions in Buy-Sell and other Commercial Agreements. Alec Szibbo September 13, 2004. Privacy Legislation Landscape. Federal: Personal Information Protection and Electronic Documents Act (“PIPEDA”) Jan1, 2001-2004

ann
Download Presentation

Business Transactions in Alberta

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Business Transactions in Alberta New Mandatory Privacy Provisions in Buy-Sell and other Commercial Agreements Alec Szibbo September 13, 2004

  2. Privacy Legislation Landscape • Federal: Personal Information Protection and Electronic Documents Act (“PIPEDA”) Jan1, 2001-2004 • BC, Alberta: Personal Information Protection Act (“PIPA”) Jan 1, 2004 • Quebec: An Act Respecting the Protection of Personal Information in the Private Sector Jan 1,1994

  3. Applicable Privacy Laws(Sep 13, 2004) • All of Canada: PIPEDA • Transborder PI transfers for consideration • Federal undertaking • Quebec: Provincial Act (“substantially similar”) • BC, Alberta: PIPA” or PIPEDA??

  4. When do Privacy laws apply? • Any Commercial Activity involving “CUD”: • Collection • Use, or • Disclosure • Personal Information – information about identifiable individual (excluding “business contact information”)

  5. Personal Information Very Broad Concept • Name, personal address, phone number • Age, weight, height, health • Ethnic origin, citizenship, religion • Occupation, employment history • Income, asset, credit and financial information • Education, educational history • Marital status, family status, sexual orientation • Personal views or opinions

  6. Aspects of “Business Transactions” (BT) Now Impacted by Privacy Laws • Primary Subject of the Business Transaction isPersonal Information assets (e.g. customer lists) which are being transferred or disclosed • Incidental collection, use or disclosure of Personal Information during Business Transaction (e.g. due diligence on target company’s employees)

  7. Basic Privacy Principle affects a BT NOTICE & CONSENT General Principle: very individual whose PI is the subject of the BT or whose PI is incidentally collected, used or disclosed during a BT: • Must be informed of the transfer /disclosure of such PI, and • Must provide consent for such PI to be transferred /disclosed

  8. Privacy Exemptions for a BT • No commercially viable exemptions are available under PIPEDA for PI disclosure a part of BT- s. 7(3) • Contrast BT exemptions: • Alberta (broadest)- s 22 • BC (notice requirement)- s 20

  9. The Alberta BT Exemption Broad “Business Transaction” Definition- • Any acquisition or disposal (e.g. purchase, sale, lease, merger, amalgamation) OR any security interest • In respect of any organization (e.g. company, association, trade union, partnership, sole proprietorship) Or organization asset,organization business,organization activity, or part thereof, current or prospective

  10. The Alberta BT Exemption • Pre-Closing/Due Diligence BT Exemption • Completion BT Exemption • Post-Completion BT Exemption

  11. Pre-Closing/Due Diligence BT Exemption No consent required for PI CUD if: • Parties enter undertaking limiting PI CUD to BT purposes and • PI is necessary to determine whether to do the BT

  12. Completion BT Exemption No consent required for PI CUD if: • Parties enter undertaking limiting PI CUD to BT purposes and • PI is necessary to complete the BT

  13. Post-Completion BT Exemption No consent required for PI CUD if: • Parties enter undertaking limiting PI CUD to purposes for which it was originally collected and • PI relates solely to business/objects of the BT

  14. Common Limitations on BT Exemption • Alberta- BT Exemption not apply if primary purpose of the BT is to purchase, sell, lease transfer, dispose, disclose PI • BC- BT Exemption not apply if BT does not involve substantial assets other than PI • If Bt does not complete- must either destroy or return PI

  15. BC Limitation on Post-Completion BT Exemption BT Exemption from the consent requirement applies only if Notice is given: • to all subjects of the PI (employees, customers, directors, officers, shareholders) • that BT has taken place • that their PI has been disclosed

  16. Factors to Consider for Privacy Compliance in BT • Location of Parties: BC, Alberta, Que, ROC • Stage: Due Diligence, Completion, Post Completion • Type of PI: Employee vs. Non-employee • Type of BT: Asset vs. Share

  17. Thank you Alec R. Szibbo 416.365.3506 (Tor.) 604.643.6362 (Van.) aszibbo@davis.ca

More Related