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.

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Federal (Canada)Personal Information Protection and Electronic Documents ActNot well-founded
Oct 16, 2002PIPEDA Case Summary #2002-82· Indexed Apr 12, 2026

PIPEDA Case Summary #2002-82: Alleged disclosure of personal information without consent for secondary marketing purposes by a bank

A bank

An individual complained that a bank failed to obtain adequate consent for using and sharing customer data with affiliates for secondary marketing purposes, arguing the bank did not clearly inform customers or provide an easy opt-out mechanism. The Office of the Privacy Commissioner of Canada (OPC) investigated and found the bank's practices and materials, including informing customers of privacy policies and providing an opt-out process, constituted a reasonable effort to ensure customer knowledge and consent. The OPC concluded the bank was in compliance with PIPEDA principles regarding secondary marketing.

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Personal Information Protection and Electronic Documents ActNot well-founded

PIPEDA Case Summary #2002-82: Alleged disclosure of personal information without consent for secondary marketing purposes by a bank

Oct 16, 2002PIPEDA Case Summary #2002-82
Adjudicator: George Radwanski
Plain-Language Summary

An individual complained that a bank failed to obtain adequate consent for using and sharing customer data with affiliates for secondary marketing purposes, arguing the bank did not clearly inform customers or provide an easy opt-out mechanism. The Office of the Privacy Commissioner of Canada (OPC) investigated and found the bank's practices and materials, including informing customers of privacy policies and providing an opt-out process, constituted a reasonable effort to ensure customer knowledge and consent. The OPC concluded the bank was in compliance with PIPEDA principles regarding secondary marketing.

Key Issues
  • Adequacy of consent for secondary marketing purposes
  • Clarity of information provided to customers about data use and sharing
  • Availability and ease of the opt-out process
  • Bank's compliance with PIPEDA principles on knowledge and consent