Introduction
Prepared in accordance with Section 51 of the Promotion of Access to Information Act, No 2 of 2000 (PAIA).
This Manual applies to The Liability Company (Pty) Ltd (hereafter referred to as “TLC”).
List of Acronyms and Abbreviations
- “CEO” Chief Executive Officer
- “DIO” Deputy Information Officer
- “Data Subject” Person to whom the personal information relates
- “IO“ Information Officer
- “MD” Managing Director
- “Minister” Minister of Justice and Correctional Services
- “PAIA” Promotion of Access to Information Act 2 of 2000 (as Amended)
- “POPIA” Protection of Personal Information Act 4 of 2013
- “Private Body” A natural person, partnership or any former or existingcjuristic person who carries or has carried on any trade, business or profession
- “Regulator” Information Regulator of South Africa
- “Republic” Republic of South Africa
Purpose of the PAIA manual
This guide to accessing records held by TLC is intended to provide guidelines to members of the public who wish to exercise their constitutional right to access to information.
This PAIA Manual is useful for the public to:
- check the categories of records held by a body which are available without a person having to submit a formal PAIA request,
- have a sufficient understanding of how to make a request for access to a record of the body, by providing a description of the subjects on which the body holds records and the categories of records held on each subject,
- know the description of the records of the body which are available in accordance with any other legislation,
- access all the relevant contact details of the Information Officer and Deputy Information Officers who will assist the public with the records they intend to access,
- know the description of the guide on how to use PAIA, as updated by the Regulator and how to obtain access to it,
- know if the body will process personal information, the purpose of processing of personal information and the description of the categories of data subjects and of the information or categories of information relating thereto,
- know the description of the categories of data subjects and of the information or categories of information relating thereto,
- know the recipients or categories of recipients to whom the personal information may be supplied,
- know if the body has planned to transfer or process personal information outside the Republic of South Africa and the recipients or categories of recipients to whom the personal information may be supplied, and
- know whether the body has appropriate security measures to ensure the confidentiality, integrity and availability of the personal information which is to be processed.
Below is information on how to lodge a request, a description of the types of records that will be made available, grounds for refusal, what procedure will be followed in considering a request, the applicable fee structure, and information on the appeals procedure should applicants not be satisfied with the outcome of the request.
Introduction
TLC conducts business as short-term insurance underwriting manager. We are a registered financial services provider with the Financial Sector Conduct Authority (FSCA). Our FSCA licence number is: 50828
The Promotion of Access to Information Act, No. 2 of 2000 (“the Act”) (PAIA) gives effect to the constitutional right of access to any information in records held by public or private bodies that is required for the exercise or protection of any rights. Where a party wishes to request information which they do not have a direct right to, but which information is needed in order to protect a right of their own, they will use the procedure set out in the PAIA manual to request such information and the Protection of Personal Information Act 4 of 2013 (POPIA) recognise that the right of access to information cannot be unlimited and should be subject to justifiable limitations. The Act grants a requester access to records of a private body, if the record is required for the exercise or protection of any rights. If a public body lodges a request, the public body must be acting in the public interest. The Act sets out the requisite procedural issues attached to a request for access to information, the requirements which such request must meet as well as the grounds for refusal or partial refusal of such request.
This manual informs requesters of procedural and other requirements which requests must meet as prescribed by the Act. In addition, it explains how to access personal information held by TLC in terms of Sections 23 and 25 of the Protection of Personal Information Act 4 of 2013 (POPIA).
The Act recognises that the right to access to information cannot be unlimited and should be subject to justifiable limitations, including, but not limited to limitations aimed at the reasonable protection of privacy, commercial confidentiality, and effective, efficient and good governance in a manner which balances that right with any other rights, including such rights contained in the Bill of Rights in the Constitution.
Contact Details and Information
All requests for access to records in terms of the Act must be in writing and must be addressed to the Information Officer or Deputy Information Officers at the below contact details:
Information Officer:
Debbie Wozny
Postal Address: P.O. Box 17541, Lyttleton, 0140.
Tel: +27 12 667 2441
Email: [email protected]
Website: www.theliabilitcompany.com
Access to Information general contact
Email: [email protected]
Guide on how to use PAIA and how to obtain access to the guide
The Regulator has, in terms of section 10(1) of PAIA, as amended, updated and made available the revised Guide on how to use PAIA (“Guide”), in an easily comprehensible form and manner, as may reasonably be required by a person who wishes to exercise any right contemplated in PAIA and POPIA.
The Guide is available in each of the official languages and in braille. The aforesaid Guide contains the description of:
- the objectives of PAIA and POPIA,
- the postal and street address, phone and fax number and, if available, electronic mail address of:
- the Information Officer of every private body, and
- every Deputy Information Officer of every private body designated in terms of section 17(1) of PAIA and section 56 of POPIA,
- the manner and form of a request for access to a record of a private body contemplated in section 50*,
- the assistance available from the IO of a private body in terms of PAIA and POPIA,
- the assistance available from the Regulator in terms of PAIA and POPIA,
- all remedies in law available regarding an act or failure to act in respect of a right or duty conferred or imposed by PAIA and POPIA, including the manner of lodging:
- an internal appeal,
- a complaint to the Regulator, and
- an application with a court against a decision by the information officer of a public body, a decision on internal appeal or a decision by the Regulator or a decision of the head of a private body,
- the provisions of section 51** requiring a public body and private body, respectively, to compile a manual, and how to obtain access to a manual,
- the provisions of section 52*** providing for the voluntary disclosure of categories of records by a public body and private body, respectively,
- the notices issued in terms of section 54**** regarding fees to be paid in relation to requests for access, and
- Members of the public can inspect or make copies of the Guide from the offices of the private bodies, including the office of the Regulator, during normal working hours,
- The Guide can also be obtained:
- from the website of the Regulator www.inforegulator.org.za,
- A copy of the Guide is available in English, for public inspection during normal office hours.
*Section 50(1) of PAIA- A requester must be given access to any record of a private body if-
- that record is required for the exercise or protection of any rights;
- that person complies with the procedural requirements in PAIA relating to a request for access to that record; and
- access to that record is not refused in terms of any ground for refusal contemplated in Chapter 4 of this
**Section 51(1) of PAIA- The head of a private body must make available a manual containing the description of the information listed in paragraph 4 above.
***Section 52(1) of PAIA- The head of a private body may, on a voluntary basis, make available in the prescribed manner a description of the categories of records of the private body that are automatically available without a person having to request access
****Section 54(1) of PAIA- The head of a private body to whom a request for access is made must by notice require the requester to pay the prescribed request fee (if any), before further processing the request.
Purpose of Processing Personal Information
TLC processes personal information for a variety of purposes, where legally justified to do so.
We collect personal information to be able to provide financial services for the underwriting and assisting individuals with their insurance requirements. We also process personal information for employment of staff and outsourcing of specialised services.
Records of Applicable Legislation which are available in accordance with any other legislation:
A table of legislation setting out a description of the records of TLC which are available in accordance with other legislation:
|
Category of records |
Applicable legislation |
No |
Ref |
Act |
1 |
No 71 of 2008 |
Companies Act |
2 |
No 95 of 1967 |
Income Tax Act |
3 |
No 66 of 1995 |
Labour Relations Act |
4 |
No 89 of 1991 |
Value Added Tax Act |
5 |
No 75 of 1997 |
Basic Conditions of Employment Act |
6 |
No 25 of 2002 |
Electronic Communications and Transactions Act |
7 |
No 2 of 2000 |
Promotion of Access of Information Act |
8 |
No 54 of 2002 |
Promotion of Access of Information Amendment Act |
9 |
No 30 of 1996 |
Unemployment Insurance Act |
10 |
No 78 of 1998 |
National Payment System Act |
11 |
No 38 of 2001 |
Financial Intelligence Centre Act |
12 |
No 85 of 1993 |
Occupational Health and Safety Act |
13 |
No 9 of 1999 |
Skills Development Levies Act |
14 |
No 4 of 2013 |
Protection of Personal Information Act |
15 |
No 26 of 2000 |
Protected Disclosures Act |
16 |
No 130 of 1993 |
Compensation for Occupational Injuries and Diseases Act |
17 |
No 12 of 2004 |
Prevention and Combating of Corrupt Activities Act |
18 |
No 37 of 2002 |
Financial Advisory and Intermediary Services Act |
19 |
No 68 of 2008 |
Consumer Protection Act |
20 |
No 55 of 1998 |
Employment Equity Act |
21 |
No 18 of 2017 |
Insurance Act |
Category of Records of TLC available without requiring access request
TLC has under its control or in its possession the following categories of records under the subjects described below. The categories of records are not exhaustive and are subject to amendment from time to time. A request made for access to these records will not automatically be granted but will be evaluated in accordance with the provisions of the Act, any other legal requirements, and TLC policies.
Category of record |
Type of record |
Available on website |
Available on request |
Governance & FAIS Disclosures |
Complaints Resolution Procedure. Conflict of Interest Policy Privacy Policy Mutual & Federal Risk Financing Limited B-BBEE Certificate |
X X X X |
X X X X |
Marketing |
Product offering brochures and wording |
X |
X |
Subjects on which TLC holds Records
Subjects on which TLC holds records |
Categories of records |
Company Secretarial Records |
Company incorporation documents Names of directors Salaries of directors |
Financial |
Financial statements Management accounts Financial and Tax records (Company & Employee) Asset Register Statutory returns Financial agreements Banking details Shareholder personal information |
Human Resources |
HR policies, procedures and records Statutory employee records Performance records Key Individual & Representative register Payroll records Recruitment and Termination List of employees Personal information of employees Employee contracts of employment Pension funds & Provident Fund Leave records |
Insurance of Company |
Insurance policies held by the company |
Marketing |
Customer database Marketing strategy |
Client Records |
Contact details of individuals within customers Communications with customers Databases Claims records Policies Contact details and addresses ID documents |
Company Policies and Directives |
Internal policies relating to employees and the company External relating to clients and other third parties |
Agreements or Contracts |
Standard agreements Insurance related agreements Contracts concluded with customers NDA’s Letters of Intent, MOU’s Third party contracts such as JV agreements, other agreements etc.) Office management contracts Supplier contracts |
Regulatory |
Licenses or Authorities Supervisory body-related records Statutory records |
Operational records |
Product records Internal and external correspondence Information technology |
Categories of Data Subjects and Information
Categories of Data Subjects |
Types of Personal Information Processed |
Customers / Clients |
Name, surname, address, registration numbers, identity numbers, identity documents, bank details, mobile numbers, email addresses, financial statements, application forms, VAT numbers, Telephone numbers, website address, Physical access records |
Service Providers |
Names, registration number, VAT numbers, Address, email address, mobile numbers, Telephone number and bank details, Physical access records |
Employees |
Address, qualifications, gender, race, identity numbers, passport numbers, bank account,details, leave records, contracts of employment, tax and financial information, beneficiary information, Vehicle registration, Performance records, Physical access records, electronic access records, mobile numbers |
The recipients or categories of recipients to whom the personal information may be supplied
Category of personal information |
Recipients or Categories of Recipients to whom the personal information may be supplied |
Policyholder details |
Business partners |
Employee details |
Regulatory Authorities – Financial Services Conduct Authority (FSCA), Financial Intelligence Centre (FIC), South Africa Revenue Services (SARS), Department of Labour (DL) |
Taxation Registration numbers |
SARS, Insurer/s, business partners |
Service providers details |
Policyholders, business partners |
Planned trans-border flows of personal information
TLC stores records in data centers in South Africa.
TLC will only transfer personal information across South African borders if the relevant transactions or situation requires cross-border processing. It will only do so in accordance with South African legislative requirements, or if the data subject consents to the transfer of their PI to third parties in foreign countries.
TLC will take steps to ensure that operators (suppliers and third parties) in foreign countries are bound by laws, binding corporate rules or binding agreements that provide an adequate level of protection of personal information and uphold principles for reasonable and lawful processing of personal information, in terms of POPIA.
TLC will take steps to ensure that operators (suppliers and third parties) that process personal information in jurisdictions outside of South Africa, apply adequate safeguards.
General description of Information Security Measures to be implemented by the responsible party to ensure the confidentiality, integrity and availability of the information
To safeguard personal information, TLC has implemented the following types of security measures:
TLC will continuously implement and monitor technical and organisational security measures to protect the personal information it holds, against unauthorised access, as well as accidental or wilful manipulation, loss, damage, or destruction.
TLC will take steps to ensure that operators (suppliers and third parties) that process personal information on its behalf apply adequate safeguards as outlined above.
Before submitting a formal request for access the following need to be considered:
- Is the submission of the request for the exercise or protection of any of the requester’s legitimate rights?
The exercise of rights is subject to justifiable limitations, including the reasonable protection of privacy, commercial confidentiality, and effective, efficient and good governance. This legislation may not be used for access to a record for criminal or civil proceedings or requested after the commencement of such proceedings.
- Is the information required in record form, under the control of TLC?
The Act only applies to records that have already been created, at the date of the request, and that are under the control of TLC. TLC is not obliged to retrieve any records on behalf of a requester that are no longer under its control, even where TLC created the record.
- Does the requester have a legitimate right to access the record?
A request may only be made to exercise the right of a requester. Where the request is made on behalf of another person, the requester must submit proof of their capacity to act on behalf of the person in whose name the request is made. For example, a power of attorney must be submitted with the request where a legal representative makes the request on behalf of their client.
Grounds for Refusal of Access to Records
The main grounds for TLC to refuse a request for information relates to the:
- mandatory protection of the privacy of a third party who is a natural person, which would involve the unreasonable disclosure of personal information of that natural person,
- mandatory protection of the commercial information of a third party, if the record contains:
- trade secrets of that third party,
- financial, commercial, scientific or technical information which disclosure could likely cause harm to the financial or commercial interests of that third party,
- information disclosed in confidence by a third party to TLC, if the disclosure could put that third party at a disadvantage in negotiations or commercial competition,
- mandatory protection of confidential information of third parties if it is protected in terms of any agreement,
- mandatory protection of the safety of individuals and the protection of property,
- mandatory protection of records which would be regarded as privileged in legal proceedings,
- the commercial activities of TLC, which may include:
- trade secrets of TLC,
- financial, commercial, scientific or technical information which disclosure could likely cause harm to the financial or commercial interests of TLC,
- information which, if disclosed could put TLC at a disadvantage in negotiations or commercial competition, and
- a computer program which is owned by TLC, and which is protected by
- Requests for information that are clearly frivolous or vexatious, or which involve an unreasonable diversion of resources shall be
Internal Remedies
TLC does not have internal appeal procedures. As such, the decision made by the Information Officer is final, and requesters will have to exercise such external remedies at their disposal if the request for information is refused, and the requester is not satisfied with the answer supplied by the Information Officer.
External Remedies
Subject to the provisions of the Act, a requester that is dissatisfied with an Information Officer’s refusal to disclose information, may within 180 days of notification of the decision, apply to the Information Regulator for relief or to a Court with appropriate jurisdiction.
Likewise, a third party dissatisfied with an Information Officer’s decision to grant a request for information, may within 180 days of notification of the decision, apply to the Information Regulator for relief or to a Court with appropriate jurisdiction.
Request Procedure
The following procedural requirements serve as guidelines for requesters:
- The requester must also comply with all the procedural requirements contained in the Act relating to the request for access to a record,
- The requester must complete the prescribed form and submit same as well as payment of a request fee and a deposit, if applicable to the Information Officer at the postal or physical address, fax number or electronic mail address as stated above,
- The prescribed from must be filled in with enough particularity to at least enable the Information Officer to identify:
- The record or records requested,
- The identity of the requester,
- Which form of access is required, if the request is granted,
- The requester (and if an agent is lodging the request, proof of capacity),
- The postal address or fax number of the requester,
- The requester must state the nature of the right for which access to the requested records is required. The courts have indicated that access to the records must be “necessary” for the exercise or protection of the right so stated,
- Subject to the provisions in the Act in respect of extensions, TLC will process the request within 30 days, unless the requester has stated special reasons which would satisfy the Information Officer that circumstances dictate that the above time periods not be complied with,
- The requester shall be informed in writing whether access has been granted or denied. If, in addition, the requester requires the reasons for the decision in any other manner, he must state the manner and the particulars so required,
- If a request is made on behalf of another person, then the requester must submit proof of the capacity in which the requester is making the request to the reasonable satisfaction of the Information Officer,
- If an individual is unable to complete the prescribed form because of illiteracy or disability, such a person may make the request orally.
A fee for a copy of the Manual, as contemplated in annexure B of the Regulations, shall be payable per each A4-size photocopy made.
The requester must pay the prescribed fee before any further processing can take place.
Description |
Cost per A4- size page or part thereof/item |
Number of pages/items |
Total |
The request fee payable by every requester |
N/A |
N/A |
R140.00 |
Photocopy / printed black & white copy of A4- size page |
R2.00 |
|
|
Printed copy of A4-size page |
R2.00 |
|
|
For a copy in a computer-readable form on: a) Flash drive – to be provided by requester b) Compact disc – (i) if provided by requester (ii) if provided to the requester |
R40.00
(i) R40.00
(ii) R60.00 |
|
|
For a transcription of visual images per A4-size page |
Service to be outsourced. Will depend on quotation from Service provider. |
|
|
Copy of visual images. |
|
|
|
Transcription of an audio record, per A4-size page |
R24.00 |
|
|
Copy of an audio record. (i) Flash Drive – to be provided by requester (ii) Compact disc – (i) if provided by requester (ii) If provided to the requester |
R40.00 R40.00 R60.00 |
|
|
To search for and prepare the record for disclosure for each hour or part of an hour, |
R145.00 |
|
|
excluding the first hour, reasonably required for such search and preparation. To not exceed a total cost of |
R435.00 |
|
|
A deposit if payable if search exceeds 6 hours |
Amount of deposit (calculated on one third of total amount per request). |
Hours of search |
|
Postage, email or any other electronic transfer |
Actual costs if any |
|
|
If a deposit has been paid in respect of a request for access, which is refused, then the Information Officer concerned must repay the deposit to the requester.
Access to Records held by TLC
- Records held by TLC may be accessed by requests only once the prerequisite requirements for access have been met.
- A requester is any person making a request for access to a record of There are two types of requesters:
Personal Requester
- A personal requester is a requester who is seeking access to a record containing personal information about the requester.
- Subject to the provisions of the Act and applicable law, TLC will provide the requested information, or give access to any record about the requester’s personal information. The prescribed fee for reproduction of the information requested will be charged.
Other Requester
This requester (other than a personal requester) is entitled to request access to information on third parties. However, TLC is not obliged to grant access. The requester must fulfil the prerequisite requirements for access in terms of the Act, including the payment of a request and access fee.
Decision
- TLC will, within 14 days of receipt of the request, decide whether to grant or decline the request and give notice with reasons (if required) to that effect,
- The 14-day period within which TLC has to decide whether to grant or refuse the request, may be extended for a further period of not more than 30 days if the request is for a large number of information, or the request requires a search for information held at another office of TLC and the information cannot reasonably be obtained within the original 30-day TLC will notify the requester in writing should an extension be sought.
Availability of the Manual
This manual is made available in terms of Regulation Number R. 187 of 15 February 2002.
A copy of the Manual is available:
- on www.theliabilitycompany.com
- from the head office of TLC for public inspection during normal business hours,
- to any person upon request and upon the payment of a reasonable prescribed fee, and
- to the Information Regulator upon
Updating of the Manual
The Information Officer and Deputy Information Officers of TLC will on a regular basis update this manual.