Purpose
This is the Data Retention Policy of the 5th Saffron Walden Scout Group. The purpose of this policy is to specify the 5th Saffron Walden Scout Groups guidelines for retaining different types of personal data and for how long.
For clarity, this policy does not include data held by The Scout Association (“TSA”), the Scout District or other Scout Groups. This is because each Local Scout Group, District and County are their own distinct data controllers, separate to TSA. Details of the TSA data retention policy can be found at: https://www.scouts.org.uk/about-us/policy/data-retention-policy/
Additional information about our general data privacy position can be found on https://5thsaffronwaldenscouts.org.uk/privacy-notice.
Scope
This policy covers all data in the possession or control of the 5th Saffron Walden Scout Group regardless of the medium in or on which those data are held. Where statute or regulation departs from the requirements of this policy, the 5th Saffron Walden Scout Group will comply with the relevant statute or regulation. This policy may be updated from time to time.
Policy
Young people:
| Data Process | Data Type | Retention | Justification |
| Pre join enquiries | Personal data | Until young person withdraws their application, joins or turns 14 | Required for placing individual on a waiting list for a place |
| Joining | Personal and Sensitive data (special category) | 10 Years after the young person leaves | Required for enquiries on membership and to respond to enquiries from HQ or statutory agencies regarding incidents |
| Events | Personal and Sensitive data (special category) | 10 Years after the young person leaves | Required for enquiries on the event and responding to incidents |
| Safeguarding* | NA – See TSA Safeguarding policy | NA – See TSA Safeguarding policy | NA – See TSA Safeguarding policy |
| Incident – No medical intervention | Personal and Sensitive data | 10 Years after the young person leaves | Legal claims raised against the incident |
| Attendance register | Personal data | 10 Years after the young person leaves | Required to complete annual registration reviewRequired to prove attendance for Gift Aid reclamation |
Adult volunteers
| Data Process | Data Type | Retention | Justification |
| Joining | Personal and Sensitive data (special category) | Until added to Scout Association system | Required for enquiries on membership |
| Identity Checking Form | Personal data | Until ID data has been submitted to DBS/PVG and the vetting process is complete | Required to verify that the identity has been checked. |
| Safeguarding* | NA – See TSA Safeguarding policy | NA – See TSA Safeguarding policy | NA – See TSA Safeguarding policy |
| Incident – No medical intervention | Personal and Sensitive data | 10 years after an individual leaves | Legal claims raised against the incident |
Parents
| Data Process | Data Type | Retention | Justification |
| Pre join enquiries | Personal data | Until young person withdraws their application, joins or turns 14 | Required for placing individuals young person on a waiting list for a place |
| Joining | Personal data | 10 Years after the young person leaves | Required for enquiries on membership |
| Safeguarding* | NA – See TSA Safeguarding policy | NA – See TSA Safeguarding policy | NA – See TSA Safeguarding policy |
| Incident – No medical intervention | Personal data | 7 years after incident, or 7 years after individual turns 18 if later | Legal claims raised against the incident |
Donors
| Data Process | Data Type | Retention | Justification |
| Individual Givers | Personal Data | 1 Year | To keep you informed of your donation |
| Gift aid declaration | 10 Years after leaving or 3 years if not group member | HMRC Tax Audit | |
| Direct debit mandate | Until individual leaves group | As proof of Direct Debit Instruction (DDI) and to assist in claims against that DDI |
As a Subject Rights Request (SRR) can be made by any type of individual it is represented here. Data from an SRR will be retained for 7 years to allow for answers to queries and complaints raised in relation to the SRR.
Notes:
Where possible, personal and sensitive (special category) data should be anonymised as soon as appropriate if they are to be retained for analysis or statistical purposes.
*The retention of safeguarding data is handled by The Scout Association as part of the safeguarding policies and no data should be retained locally. This should be in line with The Scout Association ‘Young People First’, ‘Yellow Card’ https://members.scouts.org.uk/documents/supportandresources/Safeguarding/CP%20Procedures%20Final%20Elec.pdf.
Any incidents that have required medical intervention should be reported to The Scout Association for alignment to an incident category and to manage the process.
Version – Date
V1.04 – 13/05/2025