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Data Management Policy

Data Management Policy

Policy Owner: Daniel Peixoto Effective Date: Nov 9, 2024

Purpose

To ensure that information is classified, protected, retained and securely disposed of in accordance with its importance to the organization.

Scope

All Straloo Tecnologia LTDA data, information and information systems.

General requirements

Straloo Tecnologia LTDA classifies data and information systems in accordance with legal requirements, sensitivity, and business criticality in order to ensure that information is given the appropriate level of protection.

Data owners are responsible for identifying any additional requirements for specific data or exceptions to standard handling requirements.

Information systems and applications shall be classified according to the highest classification of data that they store or process.

Data classification To help Straloo Tecnologia LTDA and its employees easily understand requirements associated with different kinds of information, the company has created three classes of data.

Confidential Highly sensitive data requiring the highest levels of protection; access is restricted to specific employees or departments, and these records can only be passed to others with approval from the data owner, or a company executive.

  • Examples include: Customer Data Personally identifiable information (PII) Company financial and banking data Salary, compensation and payroll information Strategic plans Incident reports Risk assessment reports Technical vulnerability reports Authentication credentials Secrets and private keys Source code Litigation data Restricted Straloo Tecnologia LTDA proprietary information requiring thorough protection; access is restricted to personnel with a "need-to-know" based on business requirements. This data can only be distributed outside the company with approval.

This is default for all company information unless stated otherwise.

  • Examples include: Internal policies Legal documents Meeting minutes and internal presentations Contracts Internal reports Slack messages Email Public Documents intended for public consumption which can be freely distributed outside Straloo Tecnologia LTDA. Examples include: Marketing materials Product descriptions Release notes External facing policies Labeling Confidential data should be labeled "confidential" whenever paper copies are produced for distribution. Data handling Confidential Data Handling Confidential data is subject to the following protection and handling requirements: Access for non-preapproved roles requires documented approval from the data owner Access is restricted to specific employees, roles and/or departments Confidential systems shall not allow unauthenticated or anonymous access Confidential Customer Data shall not be used or stored in non-production systems/environments Confidential data shall be encrypted at rest and in transit over public networks in accordance with the Cryptography Policy Mobile device hard drives containing confidential data, including laptops, shall be encrypted Mobile devices storing or accessing confidential data shall be protected by a log-on password (or equivalent, such as biometric) or passcode and shall be configured to lock the screen after five (5) minutes of non-use Backups shall be encrypted Confidential data shall not be stored on personal phones or devices or removable media including USB drives, CD's, or DVD's Paper records shall be labeled "confidential" and securely stored and disposed of in a secure, approved manner in accordance with data handling and destruction policies and procedures Hardcopy paper records shall only be created based on a business need and shall be avoided whenever possible Hard drives and mobile devices used to store confidential information must be securely wiped prior to disposal or physically destroyed Transfer of confidential data to people or entities outside the company shall only be done in accordance with a legal contract or arrangement, and the explicit written permission of management or the data owner Restricted Data Handling Restricted data is subject to the following protection and handling requirements: Access is restricted to users with a need-to-know based on business requirements Restricted systems shall not allow unauthenticated or anonymous access Transfer of restricted data to people or entities outside the company or authorized users shall require management approval and shall only be done in accordance with a legal contract or arrangement, or the permission of the data owner Paper records shall be securely stored and disposed of in a secure, approved manner in accordance with data handling and destruction policies and procedures Hard drives and mobile devices used to store restricted information must be securely wiped prior to disposal or physically destroyed Public Data Handling No special protection or handling controls are required for public data.

Public data may be freely distributed.

Data retention Straloo Tecnologia LTDA shall retain data as long as the company has a need for its use, or to meet regulatory or contractual requirements.

Once data is no longer needed, it shall be securely disposed of or archived.

Data owners, in consultation with legal counsel, may determine retention periods for their data.

Personally identifiable information (PII) shall be deleted or de-identified as soon as it no longer has a business use.

Retention periods shall be documented in the Data Retention Matrix in Appendix B to this policy.

Data & device disposal Data classified as restricted or confidential shall be securely deleted when no longer needed.

Straloo Tecnologia LTDA shall assess the data and disposal practices of third-party vendors in accordance with the Third-Party Management Policy.

Only third-parties who meet Straloo Tecnologia LTDA requirements for secure data disposal shall be used for storage and processing of restricted or confidential data.

Straloo Tecnologia LTDA shall ensure that all restricted and confidential data is securely deleted from company devices prior to, or at the time of, disposal.

Confidential and Restricted hardcopy materials shall be shredded or otherwise disposed of using a secure method.

Personally identifiable information (PII) shall be collected, used and retained only for as long as the company has a legitimate business purpose. PII shall be securely deleted and disposed of following contract termination in accordance with company policy, contractual commitments and all relevant laws and regulations. PII shall also be deleted in response to a verified request from a consumer or data subject, where the company does not have a legitimate business interest or other legal obligation to retain the data.

Annual data review Management shall review data retention requirements during the annual review of this policy.

Data shall be disposed of in accordance with this policy.

Legal requirements Under certain circumstances, Straloo Tecnologia LTDA may become subject to legal proceedings requiring retention of data associated with legal holds, lawsuits, or other matters as stipulated by Straloo Tecnologia LTDA legal counsel.

Such records and information are exempt from any other requirements specified within this Data Management Policy and are to be retained in accordance with requirements identified by the Legal department.

All such holds and special retention requirements are subject to annual review with Straloo Tecnologia LTDA's legal counsel to evaluate continuing requirements and scope.

Policy compliance Straloo Tecnologia LTDA will measure and verify compliance to this policy through various methods, including but not limited to, business tool reports, and both internal and external audits.

Exceptions

Requests for an exception to this Policy must be submitted to the IT Manager for approval.

Violations & enforcement

Any known violations of this policy should be reported to the IT Manager.

Violations

of this policy can result in immediate withdrawal or suspension of system and network privileges and/or disciplinary action in accordance with company procedures up to and including termination of employment.

| Version history | Version | Date | Description | Author | Approver | | --- | --- | --- | --- | --- | | 1.0 | Nov 9, 2024 | Version 1.0 | Daniel Peixoto | Daniel Peixoto | APPENDIX A - Internal retention and disposal procedure Straloo Tecnologia LTDA's Engineering Team is responsible for setting and enforcing the data retention and disposal procedures for Straloo Tecnologia LTDA managed accounts and devices. |

Customer Accounts: 1.

Customer accounts and non-medical data shall be deleted within sixty (60) days of contract termination through manual data deletion processes when permitted by law.

  • Devices: 1. Employee devices will be collected promptly upon an employee's termination.

Remote employees will be sent a shipping label and the return of their device shall be monitored. 2.

Collected devices will be cleared to be re-provisioned - or removed from inventory, Straloo Tecnologia LTDA will securely erase the device when reprovisioning. 3.

Device images may be retained at the discretion of management for business purposes Destroying devices or electronic media In cases where a device is damaged in a way that Straloo Tecnologia LTDA cannot access the Recovery Partition to erase the drive, Straloo Tecnologia LTDA may optionally decide to use an E-Waste service that includes data destruction with a certificate.

Straloo Tecnologia LTDA will keep certificates of destruction on record for one year.

Physical destruction can be optional if it is verified that the device is encrypted with Full Disk Encryption, which would negate the risk of data recovery.

| Management will review this procedure at least annually. APPENDIX B - Data retention matrix | System or Application | Data Description | Retention Period | Disposal Method | | --- | --- | --- | --- | | Patient Records | Includes electronic health records, clinical notes, and images (e.g., MRIs) | Minimum 7-10 years, varies by country* | Secure deletion | | Usage Analytics | User activity logs for service improvement and analytics | Retain for 2 years, then anonymize or delete | Anonymization or secure deletion | | Usage Analytics | User activity logs for service improvement and analytics | Retain for 2 years, then anonymize or delete | Anonymization or secure deletion | | Access Logs | Logs tracking data access and modifications | 6 months to 1 year | Automatic deletion after expiration | | Audit Logs | Logs for auditing changes to critical systems and data access | 3-7 years, as per regulatory standards | Secure deletion (e.g., GCP services) | | Support Tickets | User inquiries and support interactions | 1-2 years | Anonymize or delete upon request | | Backups | Daily backups of critical systems | 1 year for operational backups | Automated deletion post-expiration | | Research Data | De-identified data for R&D or product improvements | Retain indefinitely, re- assess every 5 years | Anonymize and periodically review |