This Privacy Notice is based on the EU's General Data Protection Regulation (2016/679, “GDPR”), namely the obligation to inform the data subjects (GDPR Articles 12–14), the data controller's obligation to maintain a record of processing activities under its responsibility (GDPR Article 30), as well as the obligations set out in the Finnish Data Protection Act (1050/2018) supplementing the GDPR.
Additionally, this Privacy Notice has been prepared with the aim of making it accessible in accordance with the requirements of the EU's Web Accessibility Directive (Directive (EU) 2016/2102 of the European Parliament and of the Council on the accessibility of the websites and mobile applications of public sector bodies) and the Finnish Act on the Provision of Digital Services (306/2019) supplementing it.
Personal Data Register of Metropolia Continuing Education and Enterprise Services
Name
Metropolia University of Applied Sciences Ltd
Contact information
Metropolia University of Applied Sciences Ltd (Business ID: 2094551-1)
Postal address: P.O. Box 4000, FI-00079 Metropolia
Visiting address: Myllypurontie 1, 00920 Helsinki, Finland
Telephone (switchboard): +358 9 7424 5000
Person responsible for the register at the data controller
Name: Riitta Konkola
Position: President, CEO of Metropolia University of Applied Sciences
Responsible person for the content of the register:
Name: Tarmo Pallari
Title: Head of department/Head of degree programme/Supervisor
Address: Metropolia Ammattikorkeakoulu Oy, PO Box 4000, FI-00079 METROPOLIA
E-mail: tarmo.pallari [at] metropolia.fi (tarmo[dot]pallari[at]metropolia[dot]fi)
Name: Taru Ruotsalainen
Title: Head of Continuing Education
Address: Metropolia University of Applied Sciences, PO Box 4000, FI-00079 METROPOLIA
E-mail: taru.ruotsalainen [at] metropolia.fi (taru[dot]ruotsalainen[at]metropolia[dot]fi)
Contact People for the Registry:
Name: Petra Heino
Title: Study Coordinator, Continuing Education and Enterprise Services
Address: Metropolia University of Applied Sciences, PO BOX 4000, 00079 Metropolia
E-mail: petra.heino [at] metropolia.fi (petra[dot]heino[at]metropolia[dot]fi)
Name: Olga Trishkina
Title: Assistant, Continuing Education
Address: Metropolia University of Applied Sciences, PO BOX 4000, 00079 Metropolia
E-mail: olga.trishkina [at] metropolia.fi (olga[dot]trishkina[at]metropolia[dot]fi)
Contact information for queries related to the purpose of this registry, e-mail: yrityspalvelut [at] metropolia.fi (yrityspalvelut[at]metropolia[dot]fi) and/or jatkuvaoppiminen [at] metropolia.fi (jatkuvaoppiminen[at]metropolia[dot]fi)
Suvi Väänänen, Metropolia’s Data Protection Officer
Email: tietosuojavastaava [at] metropolia.fi (tietosuojavastaava[at]metropolia[dot]fi) phone: .+358 40 844 0690
Purpose of processing personal data:
Metropolia Continuing Education and Enterprise Services are responsible for producing different kinds of supplementary training, learning solutions, events and tailor-made expert services as well as implement enterprise training for communities, businesses and organisations in both the domestic and the international sphere. Data is collected for the purposes of practical arrangements, such as enrollment management, training invitations, registering the completion of courses, invoicing, gathering feedback and distributing certificates.
The purpose of the personal data register of Metropolia Continuing Education and Enterprise Services is to manage the contacts and functions related to client relations.
Legal basis for processing personal data:
Metropolia Continuing Education and Enterprise Services process the personal data in their register based on:
- consent
In the case of newsletters and marketing communications, the recipient gives consent to receive newsletters and marketing communications.
- agreement
Operations related to client relations and partnerships are in some cases based on agreements (contracts), when the legal basis relies on the agreement.
For example, a) a commitment agreement (sitouttamissopimus) between the employing company and the employee taking part in the training activities:
Using a commitment agreement, the employee can authorize their employer to monitor the progress of the supplementary training funded by the employer. With this agreement, the employee gives their written consent for the employing company to monitor the progress of their studies in cooperation with the organizer of the training activities (Metropolia) by allowing the company to receive updates from Metropolia regarding which parts of the training the employee has completed. However, the employing company does not have the right to access the grades or written personal assessment of the employee (registered);
In other cases b) an agreement between the employing company and Metropolia regarding the purchase of education/training from Metropolia.
- legitimate interests
Metropolia Continuing Education and Enterprise Services process the personal data in their register partly based on legitimate interests regarding Metropolia’s operations as an organization selling continuing education services. Part of the client relations operations of the Metropolia Continuing Education and Enterprise Services are based on this (implementation of event communications, client relations management). The information of those registered in the personal data register of Metropolia Continuing Education and Enterprise Services is not used for direct marketing in case the person has not given their specific consent to receive direct marketing.
- legal obligation
The processing of information in the personal data register is based on a legal obligation to keep a registry of study credits completed through the training activities:
- Universities of Applied Sciences Act (932/2014)
- Act on the National Registers of Education Records, Qualifications and Degrees (884/2017)
The study records are kept permanently in the case of educational/training activities for which Metropolia awards study credit to the participant. These permanent study credit records are registered in Metropolia’s OMA/Peppi student information system (forming part of Metropolia’s student registry).
Metropolia Continuing Education and Enterprise Services process the personal data in their register partly based on legitimate interests regarding Metropolia’s operations as an organization selling continuing education services. Part of the client relations operations of the Metropolia Continuing Education and Enterprise Services is based on this (marketing related to business endeavors, client relations management, implementation of event communications).
The client data of the Metropolia Continuing Education and Enterprise Services is administrated through Metropolia’s client relations management (CRM) system. The CRM system contains information on client roles, sent offers, agreements, commissions as well as client meetings and cooperation.
The personal data register of Metropolia Continuing Education and Enterprise Services contains the following personal information (presented in groups):
Basic information of the participants:
- first name
- last name
- social security number
- address
- telephone number
- dietary requirements
- educational background
- job title/responsibilities
If the employer funds the activities, Metropolia collects the employing company’s/organisation’s information:
- name
- VAT number
- billing information
- address and possible reference for invoicing
- consent for direct marketing
Educational information of the participants:
- past participation in educational/training activities
- timings of the previous educational/training activities
- funded/commissioned by which company/organization
- “expectations for the training activities” information before participation
- where the participant received information on the educational/training activity
- did the provider of the educational/training activities award study credits (yes/no)
- did the participant complete the educational/training activities (yes/no)
- possible qualification/certification received from the educational/training activities (for example, the hygiene passport)
- information on the grade
Basic information of those participating in tailor-made training solutions or other services:
- first name
- last name
- consent for direct marketing
Educational information of those participating in tailor-made training solutions or other services:
- past participation in educational/training activities
- timings of the previous educational/training activities
- if funded/commissioned by a company/organization, did the provider of the educational/training activities award study credits (yes/no)
- did the participant complete the educational/training activities (yes/no)
- possible qualification/certification received from the educational/training activities (for example, the hygiene passport)
- information on the grade
Information about the client role/other role in the CRM system:
- client of which Metropolia service: business, RDI, education or alumni
- whether the registered is the contact person for the invoicing of their employer and is therefore registered in the CRM system
- whether the registered is the contact person for agreements, commissions, client meetings or other cooperation between their employer and Metropolia, and is therefore registered in the CRM system
In the case of company contact people, information on the procedures:
- sent offers
- agreements and commissions
- client meetings
- other cooperation
- Logged information related to Metropolia’s use of the CRM system
- Using the CRM system automatically creates log entries. These are utilized for the purposes of data security, technical development as well as observing, preventing and solving error situations, Information Society Code (917/2014) 138§, 141§, 144§, 272§. The logs are preserved for the duration required for these purposes and they are not used for any other purposes.
- Additionally, it is worth mentioning that client relations managers have been assigned in the CRM system for clients and partners according to the client relations management model used in Metropolia. The assigned client relations managers are in charge of updating the client information. All CRM users are responsible for updating the contact information related to the companies they are in contact with. The CRM system allows a contact person to be deleted by making them passive, thus rendering the erasure of contact information unnecessary. After making the contact person passive, their information can no longer be modified or used together with other information.
The personal data has mainly been acquired from the registered individuals (data subjects) through enrollment procedures for educational/training activities.
In some cases the employing company purchasing educational/training activities from Metropolia may have forwarded a list of their employees to Metropolia and asked to enroll them as participants for an educational/training activity they are funding for their employees.
In these cases the employing company has often informed the participating employee about the educational/training activity funded for them and purchased from Metropolia. As an example, a commitment agreement or similar document may have been signed between the employing company and the registered participant, where the decision (to enroll the employee as a participant to educational/training activities organized by Metropolia) has been informed to the data subject.
With the commitment agreement the employee has been able to authorize their employer to monitor the progress of the educational/training activities funded by the employer. The employee has been able to give their written consent for the employing company to monitor the progress of their studies in cooperation with the organizer of the training activities (Metropolia) by allowing the company to receive updates from Metropolia regarding which parts of the training the employee has completed. However, the employing company does not have the right to access the grades or written personal assessment of the employee without a specified consent given by the employee to the employing company.
Access to the information in the personal data register of Metropolia Continuing Education and Enterprise Services is granted when necessary (through admin access, for example to the system provider/maintenance in case of a technical problem) in the following systems. All providers of systems/equipment/software (i.e. the providing companies) are categorized as recipients of personal data and regular release on behalf of the register.
With respect to the systems used by Metropolia, personal data processing agreements in accordance with Article 28 of the GDPR are /will be concluded with the following cooperation partners:
Lyyti Ltd and the Lyyti event management system
Participants enroll to the educational/training activities and events produced by the Metropolia Continuing Education and Enterprise Services through the Lyyti event management system. In the case of activities that award study credits, the information can be transferred from Lyyti to the OMA/Peppi student registry system.
Metropolia’s event management register and the related privacy policy supplement this segment. The aforementioned privacy policy is viewable at the Privacy Policy section of the public website.
Eduix Ltd and the e-form software
Participants have enrolled and will still enroll when necessary to the educational/training activities and events implemented by the Metropolia Continuing Education and Enterprise Services through the e-form, from which the information is transferred into an Excel sheet for participant information management purposes, and in the case of activities that award study credits, into the OMA/Peppi information system. When relevant, lecturers that participate in educational/training activities externally will register their personal data through the e-form to receive their payment. The necessary information will be transferred to the financial management information system.
Metropolia’s OMA service/Eduix Ltd and OMA/Peppi information system
In the case of activities that award study credits, the information in the personal data register of Metropolia Continuing Education and Enterprise Services is processed in Metropolia’s OMA system, which contains a role-specific virtual dashboard structure. Participants of activities that award study credits are entered into the OMA/Peppi system so they can receive a Metropolia username and so that their study credits can be permanently retained in the student registry. Activities awarding study credits are addressed in the legislation on national study and degree certificates, as well as the obligation to retain the study credit information permanently.
Moodle online learning platform
In the educational/training activities implemented by the Metropolia Continuing Education and Enterprise Services that utilize the Moodle platform, the participants register themselves to the virtual workspace of a given activity. Moodle is an open source code based online learning platform, which does not require Metropolia to cooperate with an external service provider.
Arc Technology Ltd and the HR (HRM) information system
The fee payments related to the operations of the register are conducted through the HR system (same as Metropolia’s HRM system). For example, so-called lecturer fees are processed through the HR HRM information system.
Aditro Public Ltd and Wintime financial management system
All the possible fee-based parts of the educational/training activities and related invoicing is conducted through the Aditro Wintime financial management system. Part of the information in the invoicing system is transferred automatically to Metropolia’s client relations management CRM system.
Liana Technologies Ltd and Liana®Cloud newsletter tool
Direct e-mail marketing related to the operations of the Metropolia Continuing Education and Enterprise Services is conducted through the Liana®Cloud newsletter tool, in the cases where the registered individual has given their written consent to receiving direct marketing.
Canva Pty Ltd and Canva visual marketing tool
The visual marketing of the Metropolia Continuing Education and Enterprise Services is implemented with the Canva tool.
Metropolia e-mail system (part of the Microsoft O365 package, but the e-mail runs on Metropolia’s own server)
The e-mail system running on Metropolia’s own servers is utilized in managing the information in the personal data register of Metropolia Continuing Education and Enterprise Services, for example in situations related to client relations management.
Microsoft Corporation and Microsoft Dynamics CRM (O365) system (Metropolia’s client relations management system CRM)
Information related to client relations management is saved into the CRM system directly, and part of the information is transferred through invoicing. External lecturers register their fee payment information through the e-form, from which the information is transferred into the fee payment system. From there the process moves on to payroll.
As a general rule, personal data contained in the personal data register of the xx activities / project of Metropolia will not be transferred outside the EU or EEA or to international organisations.
However, personal data contained in the personal data register may be transferred outside the EU or the EEA in order to provide IT services necessary for work or study, on a case-by-case basis. The destination country to which the personal data is transferred then, is mainly the United States. It is also possible that India is the destination country as global ICT service providers use often India as a host country for the international helpdesk service / ICT technical user support. International transfers of personal data from the Metropolia University of Applied Sciences' personal register to the United States and / or elsewhere outside the EU / EEA are primarily secured then by the safeguard provided for in Article 46 of Chapter V of the EU General Data Protection Regulation (GDPR), standard contractual clauses. The SCC (Standard Contractual Clauses) clauses will be included as part of the personal data processing agreement to be drawn up with the ICT service provider. Only the necessary data will be transferred and the transfer will be made in accordance with and within the limits set by data protection law. The security and data protection of the transfer are always agreed separately.
(-> If you use IT systems, softwares etc. provided by IT service provider registered in United States /outside the EU/EAA, it might be possible that the IT service provider uses servers for the data storage located in United States /outside the EU/EEA -> This might mean that personal data will be transferred to United States/ outside the EU/EEA as the storing of personal data is considered as processing of personal data according to the GDPR, and as storing personal data into the data storage servers located outside the EU/EEA, is considered as transferring personal data outside the EU/EEA according to the GDPR).
If that is the case, you need to specify to which third countries outside the EU or EEA you are transferring personal data (list of countries/mapping of countries).
When mapping transfers, do not forget to also take into account onward transfers, for instance whether your processors outside the EEA transfer the personal data you entrusted to them to a sub-processor in another third country or in the same third country. In other words, you must know where the personal data you exported may be located or processed by the importers (map of destinations).
Keep in mind that remote access from a third country (for example in support situations) and/or storage in a cloud situated outside the EEA, is also considered to be a transfer. More specifically, if you are using an international cloud infrastructure you must assess if your data will be transferred to third countries and where, unless the cloud provider clearly states in its contract that the data will not be processed at all in third countries.
As a next step, you must identify the transfer tools (safeguards) you are relying on amongst those described in the Chapter V of the GDPR (Articles 45 - 49).
Article 46 of the Chapter V of the GDPR lists standard contractual clauses (SCCs) as a transfer tool containing “appropriate safeguards” for the data transfer.
Whatever GDPR transfer tool you choose, you must ensure that, overall, the transferred personal data will have the benefit of an essentially equivalent level of protection. “An essentially equivalent level of protection” means that the transferred personal data is afforded a level of protection in the third country that is essentially equivalent to that are guaranteed in the EEA where strict data protection legislation prevails.
It might be useful to contact Data Protection Officer of Metropolia UAS (dpo [at] metropolia.fi (dpo[at]metropolia[dot]fi); tietosuojavastaava [at] metropolia.fi (tietosuojavastaava[at]metropolia[dot]fi)) in a case considering international personal data transfers outside the EU or EEA.
Information in the personal data register of Metropolia Continuing Education and Enterprise Services is retained as follows:
- Records of educational/training activities that award study credit are retained permanently. These permanently retained study credits are saved into Metropolia’s OMA/Peppi student registry system (forming part of Metropolia’s student registry). Activities awarding study credits are addressed in the legislation on national study and degree certificates.
- Other personal data collected by the Metropolia Continuing Education and Enterprise Services is retained in the register for the duration of the client relationship, and two years after its end.
If the registered announces their wish to end their client relationship with the Metropolia Continuing Education and Enterprise Services, the information on the registered is erased immediately (excluding the aforementioned study credits, which are addressed in the Act on the National Registers of Education Records, Qualifications and Degrees and which are under the legal obligation for permanent retention).
The data subjects have the right to receive confirmation from the data controller of whether their personal data are being processed. Furthermore, the data subjects have the right of access to their personal data and the right to inspect their personal data stored in the register and to receive copies of them. Under the GDPR, the data controller must respond to requests by the data subjects to exercise their rights within one month of receiving such a request.
A. Right of access to personal data
The data subjects have the right to check whether their personal data are stored in the personal data register. A data subject may submit a request for information by delivering the data subjects’ information request form, which can be found on Metropolia’s public website and/or Metropolia’s intranet, to one of the three offices of Metropolia’s Student and Admission Services. The form must be filled in carefully, printed and signed personally by the data subject. If the data subject is a member of staff, they can deliver the request form to Metropolia’s Human Resources Management unit. When submitting the request, the data subject must prove their identity in a reliable manner (for example by presenting an official personal identity document or driving licence to the Metropolia employee receiving the request).
The visiting addresses of the offices of Metropolia’s Student and Admission Services are:
Metropolia’s Myllypuro campus
Myllypurontie 1, 00920 Helsinki, Finland
Metropolia’s Arabia campus
Hämeentie 135 D, 00560 Helsinki, Finland
Metropolia’s Myyrmäki campus
Leiritie 1, 01600 Vantaa, Finland
Metropolia’s Karamalmi campus
Karaportti 2, 02610 Espoo, Finland
The visiting address of Metropolia’s Human Resources Management unit is:
Metropolia’s Myllypuro campus (Buildings C and D, 5th floor)
Myllypurontie 1, 00920 Helsinki, Finland
All information requests will be forwarded from the offices of Metropolia’s Student and Admission Services and/or the Human Resources Management unit to Metropolia’s Data Protection Officer (email: tietosuojavastaava [at] metropolia.fi (tietosuojavastaava[at]metropolia[dot]fi)).
Metropolia’s Data Protection Officer will respond to information request submitted by the data subjects. If necessary, the Data Protection Officer can be requested to provide additional information on progress in the processing of the request or on the content of the response.
B. Right to rectify personal data and to restrict processing
The data subjects have the right to request the data controller to restrict the processing of their personal data in the following cases:
- the data subject disputes the correctness of their personal data (right to rectify personal data), in which case processing will be restricted until the data controller can ascertain that the data is correct;
- processing violates the law and the data subject objects to the erasure of their personal data, instead requesting that the processing of the data be restricted;
- the data controller no longer needs the personal data for the purposes of the processing, but the data subject needs them in order to establish, exercise or defend a legal claim.
Such a request for rectifying personal data in a Metropolia personal data register or restricting processing can be submitted in person to one of the above-mentioned offices of Metropolia’s Student and Admission Services or Metropolia’s Human Resources Management unit (staff only), where the data subject must prove their identity in a reliable manner when submitting the request.
C. Right to erase personal data
The data subject has the right to obtain from the controller the erasure of their personal data from a Metropolia register without undue delay if any of the following conditions are met:
- the personal data are no longer necessary in relation to the purposes for which they were collected or otherwise processed;
- the data subject withdraws consent on which processing is based and there is no other lawful basis for processing;
- the personal data have been unlawfully processed; or
- the personal data have to be erased for compliance with a legal obligation in Union or Member State law to which the controller is subject.
Such a request for the erasure of personal data in a Metropolia personal data register can be submitted in person to one of the three above-mentioned offices of Metropolia’s Student and Admission Services or Metropolia’s Human Resources Management unit (staff only), where the data subject must prove their identity in a reliable manner when submitting the request.
D. Right to data portability (transfer of data from one system to another)
Partly applicable. Article 20 of the General Data Protection Regulation (GDPR) introduces a new right of data portability of a data subject. This right allows for data subjects to receive the personal data that they have provided to a data controller, in a structured, commonly used and machine-readable format, and to transmit those data to another data controller without hindrance. The new right to data portability aims to empower data subjects regarding their own personal data, as it facilitates their ability to move, copy or transmit personal data easily from one IT environment to another (whether to their own systems, the systems of trusted third parties or those of new data controllers).
In accordance with Article 20(1)(a) of the GDPR, in order to fall under the scope of data portability, processing operations must be based:
- either on the data subject’s consent (pursuant to Article 6(1)(a), or pursuant to Article 9(2)(a) when it comes to special categories of personal data);
- or, on a contract to which the data subject is a party pursuant to Article 6(1)(b).
The GDPR does not establish a general right to data portability for cases where the processing of personal data is not based on consent or contract.
Such a request pursuant to Article 20 of the GDPR can be submitted in person to one of the three above-mentioned offices of Metropolia’s Student and Admission Services or Metropolia’s Human Resources Management unit (staff only), where the data subject must prove their identity in a reliable manner when submitting the request.
E. Right to not be subjected to a personal data breach
The data subject has the right to not be subjected to a personal data breach, as referred to in Article 33 of the EU’s General Data Protection Regulation, due to the data controller’s negligence in data protection and/or data security matters or due to negligence on the part of a data processor used by the controller in data protection and/or data security matters. The data subject has the right to be informed without undue delay if a personal data breach is likely to pose a high risk to the rights and freedoms of natural persons.
According to Article 21 of the EU’s General Data Protection Regulation, the data subjects have the right to object, on grounds relating to their particular situation, at any time to processing of personal data concerning them which is based on point (e) of Article 6(1) (processing is necessary for the performance of a task carried out in the public interest or in the exercise of official authority vested in the controller), such as profiling based on these provisions. The data controller may no longer process the personal data unless the controller demonstrates compelling legitimate grounds for the processing which override the interests, rights and freedoms of the data subject or for the establishment, exercise or defence of legal claims.
The request to stop processing of collected personal data can be submitted to one of the three above-mentioned offices of Metropolia’s Student and Admission Services or Metropolia’s Human Resources Management unit (staff only), where the data subject must prove their identity when submitting the request.
If the processing of personal data is based on the data subject’s consent, the data subject has the right to withdraw their consent for processing at any time without the withdrawal of consent affecting the lawfulness of processing based on consent before its withdrawal.
The withdrawal of consent for the processing of personal data collected by Metropolia (withdrawal request) can be submitted to one of the three above-mentioned offices of Metropolia’s Student and Admission Services (or in the case of a member of staff, to the Human Resources Management unit), where the data subject must prove their identity when submitting the request.
Every data subject has the right to lodge a complaint with a supervisory authority if the data subject considers that the processing of their personal data infringes the applicable data protection regulations.
The national supervisory authority in Finland is the Office of the Data Protection Ombudsman. Contact details:
Office of the Data Protection Ombudsman
Street address: Lintulahdenkuja 4, 00530 Helsinki, Finland
Postal address: PO Box 800
FI-00531 Helsinki
Telephone (switchboard): + 358 29 56 66700
Fax: + 358 9 56 66735
Email: tietosuoja [at] om.fi (tietosuoja[at]om[dot]fi)
General description of the technical and organisational security measures aiming at protecting the personal data of the data subjects and the personal data registers:
- The protection of the register has been agreed upon with the system providers. If necessary, the responsibilities have been described in adequate detail in the appropriate agreements.
- The employees and other personnel have undertaken to comply with the obligation of secrecy and to keep confidential the information they receive in connection with the personal data processing.
- The system providers (personal data processors) undertake to maintain the register and the personal data relating to it in accordance with good data processing practices and comply with the obligation to absolute secrecy and confidentiality.
- The data security of the personal data register of the data controllers and the confidentiality of the data contained therein are ensured with appropriate technical and administrative means in accordance with good data processing practices.
- The data controllers have restricted user rights and authorisations to data systems, tools and other storage platforms in such a way that they can only be accessed and processed by the persons who are necessary for such processing due to their job duties or position.
- The system containing personal data may only be used by employees who are entitled to process personal data due to their job duties and/or position. Such employees will be given the appropriate training for their duties.
- Every user of a tool/system must identify themselves with their personal codes, which are issued when the right to access the tool/system is granted. The right of access will expire once the employee resigns or is transferred from the duties for which they were granted the right at Metropolia.
- The data are collected in databases that are protected logically and physically.
The databases and their back-up copies are located in locked premises, and the data can only be accessed by certain pre-appointed persons.
Information on whether the provision of personal data for processing in the personal data register of Metropolia Continuing Education and Enterprise Services is a statutory or contractual requirement, or a requirement necessary to enter into a contract, as well as whether the data subject is obliged to provide the personal data and of the possible consequences of failure to provide such data. An account has been given for each register regarding how the personal data was obtained.
No person is obligated to join the personal data register of Metropolia Continuing Education and Enterprise Services. The data subject can easily make the erasure request to have their data removed from the register.
The data saved in the register has mainly been collected from the registered themselves. In some cases the employing company has forwarded the information of their employee as a participant for an educational/training activity they are funding for their employees. However, in these cases the participant and their employee have informed each other about the situation, and they have often also drawn up a commitment agreement: With the commitment agreement the employee has been able to authorize their employer to monitor the progress of the educational/training activities funded by the employer. The employee has been able to give their written consent for the employing company to monitor the progress of their studies in cooperation with the organizer of the training activities (Metropolia) by allowing the company to receive updates from Metropolia regarding which parts of the training the employee has completed. However, the employing company does not have the right to access the grades or written personal assessment of the employee.
Data in the personal data register of Metropolia Continuing Education and Enterprise Services is not used for automated decision-making or profiling.