Statutory disclosure for individuals in Canada under the Personal Information Protection and Electronic Documents Act (PIPEDA), Quebec's Act Respecting the Protection of Personal Information in the Private Sector (Law 25), and provincial statutes in Alberta and British Columbia (PIPA).
Data Custodian: BizLiveGo | Operator: MD Joshim Biswas | Malda, WB, India - 732206 | Version: 2026.1
This Notice governs personal information collected, processed, and hosted across BizLiveGo regarding Canadian individuals under applicable Canadian commercial statutes:
BizLiveGo is accountable for all personal information in its custody and under its control, including records transferred to third-party cloud infrastructure for processing:
How BizLiveGo operationalizes Schedule 1 of PIPEDA across its publishing architecture:
Designated Privacy Officer manages compliance and monitors subprocessor contractual obligations.
Purposes for collecting data are specified before or at the time of account creation and profile setup.
Knowledge and consent are obtained for data processing, except where inappropriate under statutory law.
Only data necessary for identified profile, catalog, and QR rendering purposes is collected from users.
Data is used solely for specified purposes and retained only as long as necessary to provide active profiles.
Personal data is maintained accurate, complete, and up-to-date via self-service user dashboards.
Protected by security safeguards appropriate to data sensitivity: TLS 1.3 in transit, AES-256 at rest.
Policies and practices regarding management of personal data are readily available in clear, accessible text.
Upon request, individuals are informed of existence, use, and disclosure, and given access within 30 days.
Individuals may challenge our adherence to these principles directly through our Privacy Officer or the OPC.
Pursuant to guidance from the Office of the Privacy Commissioner of Canada (OPC), Social Insurance Numbers (SIN) and official government photo IDs must never be collected for commercial identification:
Users and clients are strictly forbidden from uploading:
Elective fields in public directories (e.g., blood donor cards, matrimonial bios):
Quebec's modernized privacy regime sets enhanced requirements for enterprise accountability:
In compliance with Law 25, technologies used to identify, locate, or profile individuals (such as analytics cookies and pixels) are deactivated by default until affirmative consent is given.
Before communicating personal data outside Quebec, BizLiveGo conducts a privacy assessment ensuring that the data benefits from an adequate level of protection according to legal principles.
BizLiveGo does not employ exclusively automated decision-making processes producing legal effects without human involvement. All account approvals and verifications involve human review.
Personal data collected from Canadian residents is processed and stored on primary cloud servers located in India (Mumbai/Bengaluru) and distributed across Cloudflare's international edge CDN network.
Under PIPEDA Section 10.1 and Quebec Law 25, BizLiveGo maintains a mandatory incident register and breach protocol:
Canadian consumers maintain enforceable statutory access and deletion rights:
Request access to the personal records BizLiveGo holds about you, our usage purposes, and third parties to whom data has been disclosed, provided in an intelligible format.
Correct inaccurate or obsolete profile information, or withdraw previously granted consent for public listing or marketing telemetry with immediate effect.
While PIPEDA allows up to 30 calendar days for formal responses, BizLiveGo processes verified data deletion, correction, and portability requests within our operational 7 to 15 working days SLA.
Consolidated review of Canadian privacy governance, fair information practices, and operational standards:
| Compliance Dimension | BizLiveGo Operational Implementation | Statutory Framework |
|---|---|---|
| Primary Governing Statute | Personal Information Protection and Electronic Documents Act (PIPEDA). | PIPEDA (S.C. 2000, c. 5) |
| Provincial Frameworks | Compliance with Quebec Law 25, Alberta PIPA, and British Columbia PIPA. | Substantially Similar Laws |
| Prohibited Identifiers | Social Insurance Numbers (SIN), provincial health cards, and official photo IDs are barred. | OPC Guidance / Limiting Collection |
| Consent Standard | Informed, unambiguous opt-in consent; non-essential profiling disabled by default. | PIPEDA Principle 3 / Law 25 |
| Cross-Border Transfer | Primary cloud hosting in India; edge CDN worldwide; secured via TLS 1.3 and AES-256. | Transfers for Processing |
| Breach Reporting | Mandatory reporting to the OPC where a Real Risk of Significant Harm (RROSH) exists. | PIPEDA Section 10.1 |
| Request Turnaround (SLA) | Fulfilled within our internal 7 to 15 working days SLA (statutory ceiling: 30 days). | PIPEDA Principle 9 |
| Supervisory Escalation | Office of the Privacy Commissioner of Canada (priv.gc.ca) and provincial commissioners. | OPC / CAI (Quebec) / OIPC |
If you have questions regarding our Canadian privacy practices, wish to inspect your records, or need to reach our designated Privacy Officer, contact our privacy desk directly.
Privacy Officer: Joshim Biswas | Location: Masimpur, Kaliachak, Malda, West Bengal, India - 732206