BreachOfPrivacy

Canadian Privacy Decisions

The comprehensive archive of Canadian privacy decisions from federal, provincial, and territorial commissioners — with AI-summarized plain-language summaries for every decision.

5 decisions matching
Flag of Quebec
Quebec
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Act respecting access to documents held by public bodies and the protection of personal information

Ouattara c. Ministère de la Sécurité publique, 2026 QCCAI 142 (CanLII)

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Federal (Canada)Personal Information Protection and Electronic Documents ActDiscontinued
Mar 25, 2026· Indexed May 6, 2026

Compliance Letter to the Office of the Privacy Commissioner of Canada (“OPC”) By Nova Scotia Power

Nova Scotia Power

This compliance letter concerns a privacy breach at Nova Scotia Power that began around March 19, 2025. A malware attack allowed a threat actor to access and exfiltrate sensitive customer information, including names, contact details, financial information, and SINs, affecting approximately 375,000 current and 540,000 former customers. Nova Scotia Power has committed to specific actions, including deleting customer SINs and undergoing an external security assessment, to address the breach. Upon the Commissioner's satisfaction with these commitments, the investigation will be discontinued.

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Personal Information Protection and Electronic Documents ActDiscontinued

Compliance Letter to the Office of the Privacy Commissioner of Canada (“OPC”) By Nova Scotia Power

Mar 25, 2026
Adjudicator: Philippe Dufresne
Plain-Language Summary

This compliance letter concerns a privacy breach at Nova Scotia Power that began around March 19, 2025. A malware attack allowed a threat actor to access and exfiltrate sensitive customer information, including names, contact details, financial information, and SINs, affecting approximately 375,000 current and 540,000 former customers. Nova Scotia Power has committed to specific actions, including deleting customer SINs and undergoing an external security assessment, to address the breach. Upon the Commissioner's satisfaction with these commitments, the investigation will be discontinued.

Key Issues
  • Adequacy of security safeguards following a significant data breach.
  • Timeliness and method of notification to affected individuals.
  • Collection and retention of Social Insurance Numbers (SINs).
  • Breach response and remediation efforts.
Federal (Canada)Personal Information Protection and Electronic Documents ActDiscontinued
Mar 17, 2026· Indexed May 6, 2026

Compliance agreement between the Privacy Commissioner of Canada and the World Anti-Doping Agency

World Anti-Doping Agency

This case involves a compliance agreement between the Privacy Commissioner of Canada and the World Anti-Doping Agency (WADA) concerning WADA's collection, use, and disclosure of athletes' personal information through its Anti-Doping Administration and Management System (ADAMS). Following a complaint and an investigation, WADA agreed to implement remedial measures to ensure personal information in ADAMS is used solely for anti-doping purposes. The agreement resolves the Commissioner's investigation, with the understanding that WADA does not admit contravention of PIPEDA and preserves its jurisdictional defenses. The investigation will be discontinued upon WADA's satisfactory completion of the agreed-upon measures.

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Personal Information Protection and Electronic Documents ActDiscontinued

Compliance agreement between the Privacy Commissioner of Canada and the World Anti-Doping Agency

Mar 17, 2026
Adjudicator: Philippe Dufresne
Plain-Language Summary

This case involves a compliance agreement between the Privacy Commissioner of Canada and the World Anti-Doping Agency (WADA) concerning WADA's collection, use, and disclosure of athletes' personal information through its Anti-Doping Administration and Management System (ADAMS). Following a complaint and an investigation, WADA agreed to implement remedial measures to ensure personal information in ADAMS is used solely for anti-doping purposes. The agreement resolves the Commissioner's investigation, with the understanding that WADA does not admit contravention of PIPEDA and preserves its jurisdictional defenses. The investigation will be discontinued upon WADA's satisfactory completion of the agreed-upon measures.

Key Issues
  • WADA's jurisdiction under PIPEDA for its interprovincial or international activities
  • WADA's practices regarding the collection, use, and disclosure of athletes' personal information in ADAMS
  • Ensuring ADOs use personal information in ADAMS strictly for anti-doping purposes
  • Compliance with privacy obligations concerning sensitive personal information
Quebec
Subscribers only
Act respecting access to documents held by public bodies and the protection of personal information

2026 QCCAI 97 — Ville de Waterloo

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Flag of Saskatchewan
Saskatchewan
Subscribers only
Local Authority Freedom of Information and Protection of Privacy Act

Review Report 035-2026 Part I

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