Privacy Notice
Last updated: [07/01/2026]
I operate in line with GDPR requirements, am registered with the Information Commissioner’s Office (ICO), and hold public liability insurance.
1. Who I am
I am Neil Collingbourne, a recovery coach based in London. I provide non-clinical coaching services to men in the later stages of recovery from alcohol or drug use.
If you have any questions about this Privacy Notice or how your data is handled, you can contact me at: [email protected]
2. What personal data I collect
I keep personal data collection to an absolute minimum.
I may temporarily process:
Your name
Your email address
Your phone number
Information you choose to share with me during coaching sessions or via email/text
I do not:
Use contact forms
Maintain email mailing lists
Keep written client notes
Use automated decision-making or profiling
3. How I use your information
Your information is used only to:
Communicate with you about coaching sessions
Deliver the agreed coaching programme
Handle scheduling, payments, or practical arrangements
I do not use your data for marketing, newsletters, or third-party purposes.
4. How long I keep your data
I retain personal data only for the duration of your coaching programme.
Once the programme has ended:
All emails, messages, and related communications are permanently deleted
No client records or notes are retained
5. Legal basis for processing
Under UK GDPR, I process personal data on the basis of:
Consent – you choose to contact and work with me
Contract – data is required to deliver the agreed coaching service
6. How your data is stored
During your programme, your data may be stored temporarily within:
Email services
Mobile phone messaging
Reasonable steps are taken to keep this information secure until deletion.
7. Sharing your data
I do not share your personal data with:
Third parties
Other professionals
Organisations or agencies
Unless required by law.
8. Your rights
Under UK GDPR, you have the right to:
Ask what personal data I hold about you
Request correction of inaccurate information
Request deletion of your data
Withdraw consent at any time
You can exercise these rights by contacting me using the details above.
9. Complaints
If you have concerns about how your data is handled, you have the right to lodge a complaint with the UK Information Commissioner’s Office (ICO):
www.ico.org.uk
10. Changes to this notice
This Privacy Notice may be updated occasionally. The latest version will always be published on this website.
Data Subject Rights Procedure
1. Purpose
This procedure explains how the business responds to requests from individuals (“data subjects”) exercising their rights under the UK GDPR and the Data Protection Act 2018. It ensures requests are handled lawfully, fairly, transparently, and within statutory time limits.
2. Scope
This procedure applies to all personal data processed by the business, including client invoices, contact details, correspondence, and any digital or paper records.
3. Data Subject Rights Covered
Individuals have the right to:
Be informed about how their data is used
Access their personal data (Subject Access Request – SAR)
Rectification of inaccurate or incomplete data
Erasure (“right to be forgotten”) where applicable
Restriction of processing
Data portability (where processing is based on consent or contract and carried out electronically)
Object to processing (including direct marketing)
Rights related to automated decision-making (if applicable)
4. Receiving a Request
Requests may be made verbally or in writing (email, letter, message).
Requests do not need to mention the law to be valid.
All staff must treat any request relating to personal data seriously and promptly.
5. Verification of Identity
Before responding, the business will:
Take reasonable steps to verify the identity of the requester
Request additional information only if necessary
Avoid collecting excessive identity data
6. Logging the Request
The following details must be recorded:
Date received
Name and contact details of requester
Type of request
Deadline for response
Actions taken and outcome
7. Time Limits
Requests must be responded to within one calendar month of receipt
The period may be extended by up to two months for complex or multiple requests; the individual must be informed within the first month
8. Responding to Requests
Access Requests
Provide a copy of the personal data
Include purposes of processing, categories of data, retention periods, and rights
Information should be clear and understandable
Rectification
Correct inaccurate or incomplete data promptly
Notify third parties where relevant
Erasure
Delete data where there is no lawful basis to retain it
Retain data where required by law (e.g. invoices for tax purposes), explaining this clearly
Restriction / Objection
Assess the request against legal obligations and legitimate interests
Suspend processing where required
Data Portability
Provide data in a commonly used, machine-readable format where applicable
9. Refusal of Requests
Requests may be refused or partially refused if:
An exemption applies
The request is manifestly unfounded or excessive
Any refusal must:
Be explained clearly
Reference the legal basis
Inform the individual of their right to complain to the ICO
10. Complaints
If an individual is dissatisfied, they will be informed of their right to:
Raise the matter internally
Complain to the Information Commissioner’s Office (ICO)
Personal Data Breach Response Plan
1. Purpose
This plan sets out how the business identifies, manages, and responds to personal data breaches to minimise harm and meet legal obligations.
2. Definition of a Personal Data Breach
A breach is any incident leading to:
Accidental or unlawful destruction
Loss
Alteration
Unauthorised disclosure of, or access to, personal data
Examples include misdirected emails, lost devices, unauthorised access, or ransomware attacks.
3. Immediate Actions (First 24 Hours)
Upon discovering a potential breach:
Contain the breach (e.g. recover data, shut down access, change passwords)
Preserve evidence (do not delete logs or emails)
Assess what data is involved and whose data it affects
Record the incident immediately
4. Breach Assessment
The following must be assessed:
Type and sensitivity of data involved
Number of individuals affected
Likelihood of harm (financial, identity theft, distress)
Whether data was encrypted or protected
5. ICO Notification
The ICO must be notified within 72 hours if the breach is likely to result in a risk to individuals’ rights and freedoms
Notification will include:
Nature of the breach
Categories and approximate number of individuals affected
Likely consequences
Measures taken or proposed
If notification is not made, reasons must be documented.
6. Notification to Individuals
Individuals must be informed without undue delay if there is a high risk to them
Communication must be clear and plain-language
It must include advice on how they can protect themselves
7. Documentation
All breaches must be documented, including:
Facts of the incident
Effects
Remedial actions taken
This applies even if the breach is not reportable.
8. Recovery and Prevention
After resolution:
Review how the breach occurred
Update security measures or procedures
Provide additional training if required
9. Responsibility
Overall responsibility for data protection and breach management rests with the business owner.
10. Review
This procedure will be reviewed annually or following any significant data breach.
I only retain invoices for tax and accounting purposes (HMRC).
Essential cookies
These cookies are required for the website to function securely and cannot be switched off.
Embedded media cookies (YouTube)
This website includes an embedded YouTube video. Embedded content from other websites behaves in the exact same way as if the visitor has visited the other website.
These websites may collect data about you, use cookies, embed additional third-party tracking, and monitor your interaction with that embedded content, including tracking your interaction with the embedded content if you have an account and are logged in to that website.
No cookies are set unless you consent.