Date revised and posted: 4/10/2005
Life’sPlan, Inc. will also comply with applicable non-U.S. laws that impose additional responsibilities on Life’sPlan, Inc. beyond those stated in this Policy in connection with the treatment of Personally-Identifiable Information about its customers and prospects.
Our Policy recognizes two kinds of personal data that deserve varying levels of protection. Personally-Identifiable Information includes, for example, e-mail addresses, billing information, employment status and “click stream” data that tracks user activity on a Web site or online service. A subset of that category, Sensitive Data, deserves additional safeguards. Sensitive Data includes, by way of example, Social Security numbers, personal financial data (such as specific salary, net worth or individual portfolio information) and information about specific medical conditions.
Life’sPlan, Inc. is committed to using all reasonable efforts to abide by the following Policy statement:
Personally-Identifiable Information will only be collected to the extent that Life’sPlan, Inc. deems reasonably necessary to serve a legitimate business purpose. Please be aware that if you disclose Personally-Identifiable Information on Web site message boards or chat areas, that information may be collected and used by third parties without our knowledge and may result in unsolicited communications from third parties. Such activities are beyond the control of Life’sPlan, Inc.
Appropriate safeguards will be implemented in an effort to ensure the security, integrity and privacy of Personally-Identifiable Information about our customers and prospects.
- SENSITIVE DATA
The collection and use of Sensitive Data carries with it special obligations and responsibilities in order to maintain the data’s security, integrity and privacy. Sensitive Data will not be rented or otherwise made available for External Distribution outside Life’sPlan, Inc.
- CHILDREN Collection and use of information from children in the U.S. under the age of thirteen will be made in compliance with the Children’s Online Privacy Act of 1998.
QUESTIONS AND COMMENTS
The Corporation will continue to oversee implementation of and compliance with our Policy and will adapt the Policy to reflect changes in technology and customer expectations.