This Privacy Notice for California Residents (this "Notice") supplements the information contained in the TrueNorth Companies, L.C. Privacy Policy Notice (the "Policy").
This Notice provides our notice of collection and provides certain mandated disclosures about our treatment of California residents’ information, both online and offline. We adopt this Notice to comply with the California Consumer Privacy Act of 2018 as supplemented by the California Privacy Rights Act of 2020 (collectively “CCPA”) and any terms defined in the CCPA have the same meaning when used in this Notice (unless separately defined in this Notice). This Notice applies solely to residents of the State of California as defined in the CCPA (“California Residents”) who do business with us directly and/or visit the TrueNorth Companies, L.C. website (“our website”).
We reserve the right to amend this Notice at our discretion and at any time. When we make changes to this Notice, we will post the updated Notice on the website and update the Notice’s last reviewed date. We encourage you to look for updates and changes to this Notice when you access our website. Your continued use of our website following the posting of changes constitutes your acceptance of such changes with respect to your use of the website.
If you have special needs with regard to accessing the content of this Notice, we recommend that you or someone on your behalf, contact us by email at: dataprivacy@truenorthcompanies.com.
Generally, Personal Information under the CCPA and in this Notice means information that identifies (whether directly or indirectly) you, such as your name, postal address, email address, and telephone number. Due to the nature of our business as described in “Information We Collect” section below, Personal Information may also include:
Personal Information as defined under the CCPA does not include:
Certain types of Personal Information are considered “Sensitive Personal Information” under the CCPA. Specifically, Sensitive Personal Information is defined under the CCPA as information that reveals a consumer’s:
The following categories of Personal Information and/or Sensitive Personal Information may have been collected from California Residents within the last twelve (12) months. Personal Information that falls under the definition of Sensitive Personal Information under the CCPA has been noted in the second column below.
We may obtain the categories of Personal Information listed above from the following categories of sources:
We may use or disclose the Personal Information we collect for one or more of the following purposes:
Under the CCPA, the Sharing of Personal Information means sharing, renting, disclosing, disseminating, making available or otherwise communicating a consumer’s Personal Information to a third party for uses such as targeted advertising for the benefit of the business.
California residents have certain rights under the CCPA around limiting the Sharing of their Personal Information.
The CCPA addresses two distinct categories of information disclosure by businesses, differentiating the Sharing of Personal Information for a Commercial Purposes from the Disclosure of Personal Information for a Business Purpose, as described below.
The CCPA defines the Sharing of Personal Information for a Commercial Purpose as including the sale of a customer’s Personal Information for monetary of other consideration paid to the sharing business.
In the preceding twelve (12) months, TrueNorth has not Shared your Personal Information for a Commercial Purpose.
The CCPA excludes from the definition of Sharing Personal Information any use of Personal Information which was requested by you (the customer), including the expected and typical use of that information by a third party for the reasonably necessary purposes to achieve the requested service. Such an information transfer is considered the Disclosure of Personal Information for a Business Purpose under the CCPA.
In the preceding twelve (12) months, we may have Disclosed the following categories of Personal Information for a Business Purpose:
Category A: Identifiers.
Category B: California Customer Records Personal Information categories.
Category C: Protected classification characteristics under California or federal law.
Category D: Commercial information.
Category F: Internet or other similar network activity.
Category H: Sensory data.
Category I: Professional or employment-related information.
We may Disclose your Personal Information for a Business Purpose to perform services on your behalf and provide you with the insurance products and services you expect from us to the following categories of third parties:
In the preceding twelve (12) months, we have not sold Personal Information.
The CCPA at Section 7011 (e)(2) provides California Residents with specific rights regarding their Personal Information:
(A) Access. The right to know what Personal Information the business has collected about the consumer, including the categories of Personal Information, the categories of sources from which the Personal Information is collected, the business or commercial purpose for collecting, selling, or sharing Personal Information, the categories of third parties to whom the business discloses Personal Information, and the specific pieces of Personal Information the business has collected about the consumer;
(B) Deletion. The right to delete Personal Information that the business has collected from the consumer, subject to certain exceptions;
(C) Correction. The right to correct inaccurate Personal Information that a business maintains about a consumer;
(D) Opt-out of Sale or Sharing. If the business sells or shares Personal Information, the right to opt-out of the sale or sharing of their Personal Information by the business;
(E) Limitation on the Use of Sensitive Personal Information. If the business uses or discloses sensitive Personal Information for reasons other than those set forth in section 7027, subsection (lm), the right to limit the use or disclosure of sensitive Personal Information by the business; and
(F) Non-discriminatory Treatment. The right not to receive discriminatory treatment by the business for the exercise of privacy rights conferred by the CCPA, including an employee’s, applicant’s, or independent contractor’s right not to be retaliated against for the exercise of their CCPA rights.
The following sections describe these CCPA rights in further detail and explain how to exercise those rights.
You have the right to request that we disclose certain information to you about our collection and use of your Personal Information over the past twelve (12) months. Once we receive and confirm your verifiable consumer request (see “Exercising Access, Data Portability and Deletion Rights”), we will disclose to you:
In addition to the rights listed above, you may request limitations on the use of your Sensitive Personal Information consistent with the terms and limitations described in the CCPA, and pursuant to Civil Code Section 1798.120 et.seq. Limited use of Sensitive Information may continue to include those uses which the average consumer would reasonably expect in context, and for uses which are reasonably necessary and proportionate for our business.
You have the right to request that we delete any of your Personal Information that we collected from you and retained. Once we receive and confirm your verifiable consumer request (see “Exercising Access, Data Portability and Deletion Rights”), we will delete your Personal Information from our records, unless an exception applies.
We may deny your deletion request in whole or in part for other reasons and exceptions described in the CCPA.
To exercise the access, data portability and deletion rights described above, please submit a verifiable consumer request to us by:
To protect your information and privacy, only you, or someone legally authorized to act on your behalf, may make a verifiable consumer request related to your Personal Information. Designated agents making any request will be required to provide signed documentation for the agent to submit sch a request. In addition, when an authorized agent submits a request, we may also require that you verify your own identity directly to us or confirm with us that you have requested that the agent to submit the request. You may also make a verifiable consumer request on behalf of your minor child.
You may only make a verifiable consumer request for access or data portability twice within a 12-month period. The verifiable consumer request must:
We cannot provide you with Personal Information if we cannot verify your identity or authority to make the request and confirm the Personal Information relates to you. We will only use Personal Information provided in a verifiable consumer request to verify the requestor's identity or authority to make the request.
We will acknowledge receipt of your request within ten (10) days. We will endeavor to respond in substance to a verifiable consumer request within forty-five (45) days of its receipt. If we require more time, we will inform you of the extension period which may not exceed an additional forty-five (45) days beyond the original forty-five (45) day period.
Any disclosures we provide will only cover the 12-month period preceding the receipt of the verifiable consumer request. If we are unable to comply with a request, the response we provide will state such inability and provide reasoning for the same. For data portability requests, we will select a format to provide your Personal Information that is readily usable and should allow you to transmit the information from one entity to another entity without significant hindrance.
We do not charge a fee to process or respond to your verifiable consumer request unless it is excessive, repetitive, or manifestly unfounded. If we determine in our sole discretion that the request warrants a fee, we will tell you why we made that decision and provide you with a cost estimate before completing your request.
We will not discriminate against you for exercising any of your CCPA rights. Unless permitted by the CCPA, we will not:
California's "Shine the Light" law (Civil Code Section § 1798.83) permits users of our website who are California Residents to request certain information regarding our disclosure of Personal Information to third parties for their direct marketing purposes. To make such a request, please write us at the mailing address shown beneath the heading “Contact Information for Requests under this Notice.”
If you have any questions or comments about this Notice, the ways in which we collect and use your Personal Information described herein, and in the Policy, your choices, and rights regarding such use, or wish to exercise your rights under California law, please contact us at:
Postal Address:
TrueNorth Companies, L.C.
Attn: Legal Dept.
500 1st Street SE
Cedar Rapids, IA 52401
Phone: (800) 798-4080
Email: dataprivacy@truenorthcompanies.com
There may be situations where we cannot grant a particular request — for example, if you ask us to delete your transaction data but we are legally obligated to keep a record of that transaction to comply with law, or if we are unable to verify your identity through standard and reasonable requirements. We may also decline to grant a request where doing so would undermine our legitimate use of data for antifraud and security purposes, such as when you request deletion of an account that is being investigated for security concerns. Other reasons your privacy request may be denied could be that granting the request would jeopardize the privacy of others; that the request is substantively frivolous or vexatious; or that granting the request would be highly impractical in the context of our legitimate business purposes.