Privacy Notice concerning our
EEO Religious Accommodations Case Management in ServiceNow
Data Processing Activity
(Boeing Data Processing Activity ID Number: 7688)
The Boeing Company and its group of companies seek to maintain the privacy, accuracy, and
confidentiality of personal data that we collect and use.
We have established privacy and security measures
both internally and (where applicable) in our relations with third parties to safeguard
personal information in our data processing activities.
We hope that
the following questions and answers addressing privacy issues
related to our "EEO Religious Accommodations Case Management in ServiceNow"
data processing activity are as concise, transparent, and
intelligible as possible. We welcome
your suggestions for improvement of any of the content presented
below.
Question |
Answer |
What
corporate entity determines the purposes and means of processing of the personal data in this activity?
|
The
Boeing Company |
Who
represents this entity with regard to privacy issues? |
The Boeing Global Privacy Office is responsible
for privacy issues related to this activity.
Contact information for the Boeing Global Privacy Office
appears below this table.
|
Whose
personal data is intended to be processed by this
activity? |
This
activity is intended to process the personal information
of:
-
Employees
- Subsidiary Employees
- Former Employees
who are in the following locations:
It is not intended to process the personal
information of individuals in other categories
or locations. |
What
categories of personal data are processed by this
activity? |
Sensitive
Personally Identifiable Information:
Personal Information: This activity does not process the data of persons outside the US; however, it does process religious accommodations as requested by employees who write out their requests in open text fields at the point of intake. It also processes union information as accommodation request cannot violate bargaining agreements. |
What
are
the purposes of
processing personal data in this activity? |
The purpose of this activity is to review and approve or deny requests for a religious accommodation. |
What is
the legal basis for processing personal data in this
activity? |
Processing
is necessary for compliance with a legal obligation to
which
The Boeing Company is subject.
|
Is the
data subject (the person to whom the data relates)
required to provide personal information for this
processing activity, and what would be the possible
consequences of failing to do so? |
Provision of personal information
for this processing activity is required.
An internal complaint will be filed with Boeing, or an external complaint will be filed with a federal or state agency. |
Who are
the recipients of the personal data in this activity? |
The recipients of the information are GEDI Specialists. |
In what
countries will the personal data be processed? |
The personal information is processed in the United States.
The personal information is stored in the United States.
|
How long
will the personal data be retained by this activity? |
Per the Global Equity, Diversity and Inclusion (GEDI) organization's retention cycle, religious accommodation data is maintained for as long as the employee remains with the company or if and when the employee wishes to withdraw their religious accommodation, their record will be deleted. |
What specific privacy rights may the individuals whose
personal data is processed by this activity have, and
how can they be exercised? |
Anyone may have the right to
lodge a complaint with a
supervisory authority (https://boeing.com/privacy/authorities.html).
Depending upon the jurisdiction(s)
in which you live or work, you may have the
following additional rights:
- to request access to and
rectification or erasure of personal data or
restriction of processing
- to object to processing
- to data portability
- to not be subject to a
decision based solely on automated processing
which produces legal effects concerning you or similarly affects
you
If not offered as a
self-service capability within the "EEO Religious Accommodations Case Management in ServiceNow"
data processing activity or otherwise addressed in
another answer above, any applicable privacy rights
may be exercised using
https://boeing.com/privacy/rightsexerciseportal. |
If you have questions or
concerns about privacy issues associated with our "EEO Religious Accommodations Case Management in ServiceNow"
data processing activity, you may contact the
Boeing Global Privacy Office by:
You
may use
https://boeing.com/privacy/rightsexerciseportal to exercise any
applicable privacy rights for which a self-service capability has
not been offered within the "EEO Religious Accommodations Case Management in ServiceNow"
data processing activity
or for which other specific instructions do not appear above.
For customers and visitors to our web sites: This notice supplements
the
Boeing Privacy and Cookie Statement.
For employees, contract labor, retirees, and subsidiary employees: This notice
supplements the
Boeing Employee Privacy Notice.
Boeing will periodically review and update
the content of this notice at its discretion.
It was last updated
2024-01-05 16:24:16
(UTC).
|