Annual Report Privacy Act 2023-2024


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1. Introduction

This is the Canadian Human Rights Commission (the Commission) Annual Report to Parliament, submitted pursuant to section 72 of the Privacy Act.

The purpose of the Privacy Act is to protect the privacy of individuals with respect to personal information about themselves held by a government institution and to provide individuals with a right of access to that information.

Section 72 of the Privacy Act requires that the head of every government institution shall prepare, for submission to Parliament, an annual report on the administration of the Act within the institution during each fiscal year.

This report describes the work of the Commission’s Access to Information and Privacy Office for the fiscal year 2023-2024.

About Us

The Commission was established by Parliament through the Canadian Human Rights Act (CHRA) in 1977. It has a broad mandate to promote and protect human rights. This includes screening and, where possible, mediating discrimination complaints, representing the public interest in the litigation of complaints, and conducting research in consultation with rights holders and stakeholders, issuing public statements, and tabling special reports in Parliament.

The Commission is committed to working with the Government of Canada as well as domestic and international partners and stakeholders to ensure continued progress in the protection of human rights, including Canada’s implementation of the rights and obligations enshrined in the human rights treaties to which Canada is a party.

The Commission also has a mandate under the Employment Equity Act and supports the Accessibility Commissioner and the Pay Equity Commissioner in carrying out their mandates under the Accessible Canada Act and the Pay Equity Act, respectively. It also provides support to the Federal Housing Advocate as legislated by the National Housing Strategy Act. The Commission is also the designated body responsible for monitoring the Government of Canada’s implementation of the United Nations Convention on the Rights of Persons with Disabilities (CRPD), in accordance with article 33.2 of the Convention.

Our Mandate

The Commission protects the core principle of equal opportunity and promotes a vision of an inclusive society free from discrimination by:

  • promoting human rights through research and policy development;
  • protecting human rights through a fair and effective complaints process;
  • representing the public interest to advance human rights for all Canadians;
  • auditing employers under federal jurisdiction for compliance with employment equity;
  • helping federally regulated employers and service providers create a barrier-free Canada through the proactive identification, removal, and prevention of barriers to accessibility;
  • promoting women’s equality by ensuring that federal public and private sector organizations value the work done by women in the same way as they value work done by men; and
  • driving change on key systemic housing issues and advancing the right for housing for all in Canada.

2. Organizational Structure

The ATIP Office is organizationally housed within the IM/IT Division, which is part of the Corporate Management Branch.

In fiscal year 2023-2024, the ATIP Unit was composed of an ATIP Coordinator, a Senior ATIP Adviser, a Senior ATIP Analyst, an ATIP Analyst, and an ATIP Officer.

The ATIP Unit processes formal and informal requests, consultations, and complaints the Commission receives pursuant to the Access to Information Act and the Privacy Act and produces Annual Reports and the Info Source in accordance with these Acts. In addition, the ATIP Unit investigates and reports on privacy incidents.

Furthermore, the ATIP Unit provides subject matter expert advice and training to all staff, compiles statistics as required, and prepares weekly reports to provide updates with respect to the active Privacy Act requests, consultations, and complaints submitted to the Office of the Privacy Commissioner for senior management. It is also responsible for investigating privacy breaches and reporting any material breach to the Office of the Privacy Commissioner and the Treasury Board Secretariat.

3. Delegation Order

The Delegation Order sets out the powers, duties, and functions for the administration of the Privacy Act that has been delegated by the head of the institution, the Chief Commissioner.

The Chief Commissioner has delegated her decision-making authority under the Privacy Act to the Director General of the Corporate Management Branch. The power to process requests is delegated to the ATIP Office. As the functional delegate, the Director General oversees the processing of requests, the internal investigations into privacy breaches, and the handling of complaints.

Please refer to Appendix A for a copy of the Signed Delegation Order.

4. Performance 2022-2023

During the period under review, from April 1, 2023, to March 31, 2024, the Commission’s total number of Privacy Act requests were as follows:

  • 32 new requests were received,
  • 5 requests were outstanding from the previous reporting period, and
  • No requests were outstanding from more than one reporting period.

Of these, 34 requests were closed during this reporting period and 3 were carried over to the next reporting period beyond legislated timelines. Of the 5 requests outstanding from the previous reporting period, 2 were completed within legislated timelines during the reporting year, and 3 were completed beyond legislated timelines during the reporting year.

During this 2023-2024 reporting period, the Commission received 6 privacy requests more than last reporting year representing a 19% increase.

We note that most requests were submitted from individuals who have filed human rights complaints at the Commission alleging discrimination based on one or more of the prohibited grounds under the Canadian Human Rights Act:

  • race;
  • national or ethnic origin;
  • colour;
  • religion;
  • age;
  • sex;
  • sexual orientation;
  • gender identity or expression;
  • marital status;
  • family status;
  • disability;
  • genetic characteristics; and
  • a conviction for which a pardon has been granted or a record suspended.

Out of the 32 new requests received during this period, 18 were made online, 13 were made by e-mail, and 1 was mailed. Although the Privacy Act requires that requests for personal information be made in writing, the Commission accepts requests made by telephone when it is necessary to accommodate requesters.

Of the 34 requests closed during this period, 21,818 relevant pages were processed, and 11,587 pages were released. The disposition of each request was as follows:

  • 11, or 32%, and totalizing 8,419 pages, were All disclosed;
  • 15, or 44%, and totalizing 13,399 pages, were Disclosed in part;
  • 3, or 9%, were No records exist; and
  • 5, or 15%, were Request abandoned.

The completion times of the 34 Privacy requests closed during this reporting period were as follows:

  • 7 requests took between 1 to 15 days;
  • 15 requests took between 16 to 30 days;
  • 5 requests took between 31 to 60 days;
  • 5 requests took between 61 to 120 days;
  • 1 request took between 121 to 180 days;
  • 1 request took between 181 to 365 days; and
  • 0 requests took more than 365 days.

Completion times Requests Closed During Fiscal 2023-2024

Image
Completion times Requests Closed - text description follows
Graph Completion times - Text version
1 to 15 days16 to 30 days31 to 60 days61 to 120 days121 to 180 days181 to 365 daysMore than 365 days
71555110

Completion Rates Requests Closed During Fiscal 2023-2024

Image
Completion rates Requests Closed - text description follows
Pie Chart of Completion Rates - Text version
1 to 15 days16 to 30 days31 to 60 days61 to 120 days121 to 180 days181 to 365 daysMore than 365 days
20%44%15%15%3%3%0%

Consultations:

A consultation is when the record(s) responding to a particular request are transmitted from another organization (federal, provincial, territorial, municipal) to the Commission for review, and to advise recommendations if any exemptions are needed.

During this reporting period, the Commission received 1 consultation request from another Government of Canada institution, and reviewed 12 pages. It took 16 to 30 days to respond to this consultation request and the Commission responded that it had no concerns with the full disclosure of the records. The file was closed during the reporting period. Lastly, there were no consultations processed in the fiscal year 2023-2024 that were carried over from the last reporting period.

Informal requests:

An informal request is a request for information that is not processed under the Act. There are no deadlines for responding. Also, the requester has no statutory right to complain to the Office of the Privacy Commissioner of Canada.

The Commission did not receive any informal requests during this reporting period.

Multi-year trends

Figure 1 reveals the number of requests received, processed, and closed during each fiscal year over the past five years. We observe that the number of requests received, processed, and closed increased significantly in fiscal year 2021-2022, decreased in 2022-2023, and increased in the reporting period by 15% compared to last fiscal year.

Figure 1. Multi-year trend on the number of requests received, processed, and closed each fiscal year

Image
Figure 1. Multi-year trend - text description follows
Figure 1 - text version
Number of requests
2019-20202020-20212021-20222022-20232023-2024
2723362934

Figure 2 shows the number of consultations processed during each reporting period. Although there is no consistent pattern in these numbers to set a specific trend, we observe that the number of consultations processed has decreased in the past two years.

Figure 2. Multi-year trend on the number of consultations processed each fiscal year

Image
Figure 2. Multi-year trend - text description follows
Figure 2 - text version
Number of consultations
2019-20202020-20212021-20222022-20232023-2024
32641

Concerning Figure 3, the graph shows the number of complaints processed during each reporting period, which includes those received during the fiscal year and carried over from previous fiscal years. The Commission received 5 new complaints during the reporting period and there was 1 carried over from previous fiscal years. We observe that the ATIP Unit worked on 2 complaint files in each fiscal year from 2019 to 2021. However, this number increased to 6 in the past 3 fiscal years. This is further explained on pages 8-9.

Figure 3. Multi-year trend on the number of complaints processed each fiscal year

Image
Figure 3. Multi-year trend - text version follows
Figure 3 - text version
Number of complaints
2019-20202020-20212021-20222022-20232023-2024
22666

Requests closed past the legislated timelines

The Commission is committed to completing requests in a timely fashion. During this reporting period, 28 requests, or 82%, were responded to within the legislated timelines, while 6 requests, or 18%, were closed past the legislated timeline. The details are explained in the following table and further expanded below.

Number of requests closed past the legislated timelinesPrincipal Reason
Interference with Operations / WorkloadExternal ConsultationInternal ConsultationOther
66000

Out of the 6 requests that were closed past the statutory deadline, the Commission took an extension of 30 days beyond the initial legislated timeline on 4 requests pursuant to s. 15(a)(i), because meeting the original time limit would unreasonably interfere with operations. No extension was taken on the other 2 requests, due to an administrative error for one of them, and due to the Public Service Alliance of Canada (PSAC) strike mandate for PA and EB group members in the federal public sector for the second one.

Extensions taken on requests closed within legislated timelines

The Commission took extensions on 7 requests due to volume pursuant to s. 9(1)(a) because meeting the original time limit would unreasonably interfere with the operations of the institution.

Application of Exemptions

Partial exemptions claimed under the PA were invoked in 15 requests. For some requests, more than one exemption was invoked.

Sections of the Privacy ActNumber of requests
Section 25 - The head of a government institution may refuse to disclose any personal information requested under subsection 12(1) the disclosure of which could reasonably be expected to threaten the safety of individuals.5
Section 26 - Information about another individual - where the head of a government institution may refuse to disclose any personal information requested under subsection 12(1) about an individual other than the individual who made the request, and shall refuse to disclose such information where the disclosure is prohibited under section 8.14
Section 27 - Protected information — solicitors, advocates and notaries - where the head of a government institution may refuse to disclose any personal information requested under subsection 12(1) that is subject to solicitor-client privilege or the professional secrecy of advocates and notaries or to litigation privilege.14

Legal Advice Sought

During the reporting period, legal advice was requested 2 times for issues regarding the Privacy Act.

5. Training and Awareness

The ATIP Unit provides policy and processing advice to the Commission staff on the Privacy Act as needed.

The ATIP Unit training provides the participants with key notions of the ATIP process and explains their roles and responsibilities when responding to ATIP requests. The training also promotes information management best practices. During fiscal year 2023-2024, the ATIP Unit provided 14 group and 2 one-on-one ATIP training sessions.

Employees wanting more training for their personal and professional development are also referred to the Treasury Board Secretariat training calendar and the Canada School of Public Service.

6. Policies, Guidelines and Procedures

The functioning of the ATIP Office is governed by the Treasury Board Secretariat’s policies and the Commission’s internal policies. Ongoing review and business re-engineering of the Commission’s practices concerning the processing of requests is always a top consideration. This review serves to improve our policies and practices. For example, all new records of business value are in electronic format, and the documents that are received in paper format are systematically digitized. This has facilitated the search for records process for the Offices of Primary Interest as well as the processing of the records for the ATIP Unit as it has resulted in the handling of primarily electronic records.

The ATIP Unit updated the Commission’s Privacy Breach Management process and its Privacy Breach checklist during this reporting period in line with the Treasury Board Secretariat’s updated Policy on Privacy Protection. The Privacy Breach checklist provides additional scenarios of privacy breaches offering guidance to the Office(s) of the Primary Interest about when to report a privacy breach and when to provide supporting documents to the ATIP Unit. Privacy breaches are monitored in a faster and more efficient way.

To make the ATIP functions operate more smoothly, the Commission continues to develop its procedures to consider the complexity of the requests to achieve our goal of fulfilling our mandate under the Privacy Act within the prescribed deadlines. This past fiscal year, the Commission amended its ATIP Delegation to provide more authority to the ATIP Coordinator and allow for routine requests to be approved by the ATIP Coordinator, while more complex requests are reviewed by the ATIP Coordinator and approved by the ATIP Delegate. This contributes to a faster response to routine requests.

In line with our commitment to finding efficiencies, the ATIP Unit continues to refine its tools for Offices of the Primary Interest and the Commission as a whole providing information on best practices, including how to respond to an ATIP request, the retrieval of responsive records, and the reporting of privacy breaches.

7. Initiatives and Projects to Improve Privacy

During the reporting period, the Commission started the implementation of ATIPXpress, a new Request Processing Software Solution (RPSS). This process included installation, configuration, and testing the software, as well as training sessions for the Commission’s ATIP staff. The new system will increase efficiency of the ATIP Unit by automating a number of routine ATIP operations that are currently done manually. Furthermore, ATIPXpress will increase the overall accessibility of the released records. The Commission is at the final stages of the implementation process and plans to go live in the next reporting period.

In addition, the ATIP Unit was using, as required, secured Microsoft 365 OneDrive links to provide requesters with voluminous electronic responsive records. This allowed the requesters to click on the link to access the records automatically. This ensured that the records were being sent directly to the requester in a timely manner.

8. Summary of Key Issues and Actions Taken on Complaints

The Commission received 5 new complaints during this reporting period. In addition, the Commission worked on 1 complaint that was carried over from previous fiscal years.

COMPLAINTS RECEIVED DURING FISCAL 2023-2024REASON FOR COMPLAINTSTATUS
Received May 18, 2023Exemptions
  • Ongoing
Received October 17, 2023Time limits
  • Closed – October 26, 2023
  • Closed at the early resolution stage
  • Resolved - No finding
Received January 3, 2024
  • Time limits
  • Extension of time limits
  • Ongoing
Received January 5, 2024Extension of time limits
  • Ongoing
Received February 8, 2024Time limits
  • Ongoing
COMPLAINTS RECEIVED DURING FISCAL 2021-2022REASON FOR COMPLAINTSTATUS
Received January 10, 2022Refusal-General
  • Ongoing

9. Material Privacy Breaches

There was 1 material privacy breach during the reporting period.

10. Privacy Impact Assessments

Preliminary Privacy Impact Assessments initiated:0
Preliminary Privacy Impact Assessments completed:0
Privacy Impact Assessments initiated:0
Privacy Impact Assessments completed:1
Privacy Impact Assessments forwarded to the Office of the Privacy Commissioner:1

During the reporting period, the ATIP Unit completed a Privacy Impact Assessment (PIA) for the implementation of ATIPXpress to replace Access Pro, the current ATIP case management system of the Commission, and the PIA was forwarded to the Office of the Privacy Commissioner.

11. Public Interest Disclosures

There was no disclosure under subsection 8(2)(m) during the reporting period.

12. Monitoring Compliance

Requests are monitored daily. Information about the different processing stages is entered into the Commission’s case management system. Weekly reports of the open requests and complaints are generated and shared with the team, the ATIP Coordinator, and the ATIP Delegate.

Delays in processing requests primarily occur when consultations are needed or when handling voluminous records. When it appears that a delay in processing a request is inevitable, the ATIP staff contacts the requester. If the requester cannot be reached, the ATIP Coordinator is notified of any concerns. If necessary, the ATIP Delegate is notified to ensure that the request is being processed in a reasonable period. In addition, the Commission makes every effort to limit conducting inter-institutional consultations, but they could be carried out if requested by the ATIP Coordinator or the ATIP Delegate when there is an intention to disclose information. The ATIP Delegate will bring any issues to the Executive Director’s attention and the Executive Director will discuss them with the Chief Commissioner, as required.

Although there are internal practices put in place to ensure that the Commission is maintaining privacy and confidentiality for contracts, agreements and arrangements, there is currently no specific monitoring being conducted during the reporting period, therefore no level of officials are being advised for this type of requirement at this time.

The Commission’s procurement team has put in place internal practices to maintain privacy and confidentiality for contracts, agreements, and arrangements. For example, contracts do not include personal information and clients are encouraged to send this information if/when required separately. Although there are internal practices put in place to maintain privacy and confidentiality for contracts, agreements, and arrangements, as indicated earlier, there was no specific monitoring being conducted during the reporting period, therefore no level of officials were advised during this time.

APPENDIX A

Access to Information Act and Privacy Act Delegation Order

Pursuant to section 95(1) of the Access to Information Act and section 73(1) of the Privacy Act, the Interim Chief Commissioner, Canadian Human Rights Commission, hereby delegates to the persons holding the positions set out in the schedule hereto, or the persons occupying the positions on an acting basis, the ability to exercise the powers, duties and functions of the Chief Commissioner as the head of a government institution, under the section of the Act set out in the schedule opposite each position. This delegation replaces any and all previous designations/delegations.

Schedule
PositionPrivacy Act and RegulationsAccess to Information Act and Regulations
Executive DirectorFull Authority to waive solicitorclient privilege under 27Full Authority to waive solicitorclient privilege under 23
Director General, Corporate Management BranchFull Authority except to waive solicitor-client privilege under 27Full Authority except to waive solicitor-client privilege under 23
Full authority to exercise all powers, duties, and functions of the head of the institution as they existed prior to June 21, 2019 with respect to any complaint, investigation, application, judicial review, or appeal that was initiated before that date
Manager, Information Management and Access to Information and Privacy8(4) and (5), 9(1) and (4), 10, 14(a) and (b), 15,17(1), (2) and (3), 18(2), 19(1) and (2), 20, 21, 22(1) and (2), 23, 24, 25, 26, 27, 27(1), 28, 31, 33(2), 35(1) and (4), 36(3), 37(3), 70, 774(2.1), 6.1, 7(a) and (b), 8(1), 9, 11, 12(1), 12(2), 12(3), 13, 14, 15, 16,16.5,17,18,18.1, 19, 20, 21, 22, 22.1, 23, 23.1, 24, 25, 26, 27(1) and (4), 28(1), (2) and (4), 33, 35(2)(b), 36.1, 37(1) and (4), 43(2), 44(2), 69, 70, 71

Original signed by

Charlotte-Anne Malischewski
Intérim Chief Commissioner

Dated, at the City of Ottawa, this 2 day of October, 2023

APPENDIX B

Statistical Report on the Privacy Act

Name of institution: Canadian Human Rights Commission

Reporting period: 2023-04-01 to 2024-03-31

Section 1: Requests Under the Privacy Act

1.1 Number of requests received
 Number of Requests
Received during reporting period32
Outstanding from previous reporting period5
Outstanding from more than one reporting period0
Total37
Closed during reporting period34
Carried over within legislated timeline0
Carried over beyond legislated timeline3
1.2 Channels of requests
SourceNumber of Requests
Online18
E-mail13
Mail1
In person0
Phone0
Fax0
Total32

Section 2: Informal requests

2.1 Number of informal requests
 Number of Requests
Received during reporting period0
Outstanding from previous reporting periods0
Outstanding from more than one reporting period0
Total0
Closed during reporting period0
Carried over to next reporting period0
2.2 Channels of informal requests
SourceNumber of Requests
Online0
E-mail0
Mail0
In person0
Phone0
Fax0
Total0
2.3 Completion time of informal requests
Completion Time
1 to 15 Days16 to 30 Days31 to 60 Days61 to 120 Days121 to 180 Days181 to 365 DaysMore Than 365 DaysTotal
00000000
2.4 Pages released informally
 Number of RequestsPages Released
Less Than 100 Pages Released00
100-500 Pages Released00
501-1000 Pages Released00
1001-5000 Pages Released00
More Than 5000 Pages Released00

Section 3: Requests Closed During the Reporting Period

3.1 Disposition and completion time
Disposition of RequestsCompletion Time
1 to 15 Days16 to 30 Days31 to 60 Days61 to 120 Days121 to 180 Days181 to 365 DaysMore Than 365 DaysTotal
All disclosed271100011
Disclosed in part144411015
All exempted00000000
All excluded00000000
No records exist12000003
Request abandoned32000005
Neither confirmed nor denied00000000
Total7155511034
3.2 Exemptions
SectionNumber of Requests
18(2)0
19(1)(a)0
19(1)(b)0
19(1)(c)0
19(1)(d)0
19(1)(e)0
19(1)(f)0
200
210
22(1)(a)(i)0
22(1)(a)(ii)0
22(1)(a)(iii)0
22(1)(b)0
22(1)(c)0
22(2)0
22.10
22.20
22.30
22.40
23(a)0
23(b)0
24(a)0
24(b)0
255
2614
2714
27.10
280
3.3 Exclusions
SectionNumber of Requests
69(1)(a)0
69(1)(b)0
69.10
70(1)0
70(1)(a)0
70(1)(b)0
70(1)(c)0
70(1)(d)0
70(1)(e)0
70(1)(f)0
70.10
3.4 Format of information released
PaperElectronic recordData setVideoAudioOther
10160000
3.5 Complexity
3.5.1 Relevant pages processed and disclosed for paper and e-record formats
Number of Pages ProcessedNumber of Pages DisclosedNumber of Requests
21,81811,58731
3.5.2 Relevant pages processed by request disposition for paper and e-record formats by size of requests
DispositionLess Than 100 Pages Processed100-500 Pages Processed501-1000 Pages Processed1001-5000 Pages ProcessedMore Than 5000 Pages Processed
Number of RequestsPages ProcessedNumber of RequestsPages ProcessedNumber of RequestsPages ProcessedNumber of RequestsPages ProcessedNumber of RequestsPages Processed
All disclosed8168112017160017,415
Disclosed in part12951,36143,24758,76200
All exempted0000000000
All excluded0000000000
Request abandoned5000000000
Neither confirmed nor denied0000000000
Total1419761,48153,96358,76217,415
3.5.3 Relevant minutes processed and disclosed for audio formats
Number of Minutes ProcessedNumber of Minutes DisclosedNumber of Requests
000
3.5.4 Relevant minutes processed per request disposition for audio formats by size of requests
DispositionLess than 60 Minutes processed60-120 Minutes processedMore than 120 Minutes processed
Number of requestsMinutes ProcessedNumber of requestsMinutes ProcessedNumber of requestsMinutes Processed
All disclosed000000
Disclosed in part000000
All exempted000000
All excluded000000
Request abandoned000000
Neither confirmed nor denied000000
Total000000
3.5.5 Relevant minutes processed and disclosed for video formats
Number of Minutes ProcessedNumber of Minutes DisclosedNumber of Requests
000
3.5.6 Relevant minutes processed per request disposition for video formats by size of requests
DispositionLess than 60 Minutes processed60-120 Minutes processedMore than 120 Minutes processed
Number of requestsMinutes ProcessedNumber of requestsMinutes ProcessedNumber of requestsMinutes Processed
All disclosed000000
Disclosed in part000000
All exempted000000
All excluded000000
Request abandoned000000
Neither confirmed nor denied000000
Total000000
3.5.7 Other complexities
DispositionConsultation RequiredLegal Advice SoughtInterwoven InformationOtherTotal
All disclosed00000
Disclosed in part0212014
All exempted00000
All excluded00000
Request abandoned00000
Neither confirmed nor denied00000
Total0212014
3.6 Closed requests
3.6.1 Number of requests closed within legislated timelines
Number of requests closed within legislated timelines24
Percentage of requests closed within legislated timelines (%)82.75862069
3.7 Deemed refusals
3.7.1 Reasons for not meeting legislated timelines
Number of requests closed past the legislated timelinesPrincipal Reason
Interference with operations / WorkloadExternal ConsultationInternal ConsultationOther
66000
3.7.2 Request closed beyond legislated timelines (including any extension taken)
Number of days past legislated timelinesNumber of requests past legislated timeline where no extension was takenNumber of requests past legislated timeline where an extension was takenTotal
1 to 15 days000
16 to 30 days000
31 to 60 days000
61 to 120 days224
121 to 180 days011
181 to 365 days011
More than 365 days000
Total246
3.8 Requests for translation
Translation RequestsAcceptedRefusedTotal
English to French000
French to English000
Total000

Section 4: Disclosures Under Subsections 8(2) and 8(5)

Paragraph 8(2)(e)Paragraph 8(2)(m)Subsection 8(5)Total
0000

Section 5: Requests for Correction of Personal Information and Notations

Disposition for Correction Requests ReceivedNumber
Notations attached0
Requests for correction accepted0
Total0

Section 6: Extensions

6.1 Reasons for extensions
Further review required to determine exemptionsLarge volume of pagesLarge volume of requestsDocuments are difficult to obtainCabinet ConfidenceSection (Section 70)ExternalInternal    
Number of extensions taken   
 15(a)(i) Interference with operations15 (a)(ii) Consultation15(b) Translation purposes or conversion  
11010100000
6.2 Length of extensions
Length of ExtensionsFurther review required to determine exemptionsLarge volume of pagesLarge volume of requestsDocuments are difficult to obtainCabinet ConfidenceSection (Section 70)ExternalInternal  
 15(a)(i) Interference with operations15 (a)(ii) Consultation15(b) Translation purposes or conversion 
1 to 15 days00000000
16 to 30 days001010000 
31 days or greaterN/AN/AN/AN/AN/AN/AN/A0 
Total010100000 

Section 7: Consultations received from other Government of Canada institutions and other organizations

7.1 Consultations received from other Government of Canada institutions and other organizations
ConsultationsOther Government of Canada InstitutionsNumber of Pages to ReviewOther OrganizationsNumber of Pages to Review
Received during the reporting period11200
Outstanding from the previous reporting period0000
Total11200
Closed during the reporting period11200
Carried over within negotiated timelines0000
Carried over beyond negotiated timelines0000
7.2 Recommendations and completion time for consultations received from other Government of Canada institutions
RecommendationNumber of Days Required to Complete Consultation Requests
0 to 15 Days16 to 30 Days31 to 60 Days61 to 120 Days121 to 180 Days181 to 365 DaysMore Than 365 DaysTotal
Disclose entirely01000001
Disclose in part00000000
Exempt entirely00000000
Exclude entirely00000000
Consult other institution00000000
Other00000000
Total01000001
7.3 Recommendations and completion time for consultations received from other organizations outside the Government of Canada
RecommendationNumber of days required to complete consultation requests
0 to 15 Days16 to 30 Days31 to 60 Days61 to 120 Days121 to 180 Days181 to 365 DaysMore Than 365 DaysTotal
Disclose entirely00000000
Disclose in part00000000
Exempt entirely00000000
Exclude entirely00000000
Consult other institution00000000
Other00000000
Total00000000

Section 8: Completion Time of Consultations on Cabinet Confidences 

8.1 Requests with Legal Services
Number of DaysFewer Than 100 Pages Processed100-500 Pages Processed501-1000 Pages Processed1001-5000 Pages ProcessedMore than 5000 Pages Processed
Number of RequestsPages DisclosedNumber of RequestsPages DisclosedNumber of RequestsPages DisclosedNumber of RequestsPages DisclosedNumber of RequestsPages Disclosed
1 to 150000000000
16 to 300000000000
31 to 600000000000
61 to 1200000000000
121 to 1800000000000
181 to 3650000000000
More than 3650000000000
Total0000000000
8.2 Requests with Privy Council Office
Number of DaysFewer Than 100 Pages Processed100‒500 Pages Processed501-1000 Pages Processed1001-5000 Pages ProcessedMore than 5000 Pages Processed
Number of RequestsPages DisclosedNumber of RequestsPages DisclosedNumber of RequestsPages DisclosedNumber of RequestsPages DisclosedNumber of RequestsPages Disclosed
1 to 150000000000
16 to 300000000000
31 to 600000000000
61 to 1200000000000
121 to 1800000000000
181 to 3650000000000
More than 3650000000000
Total0000000000

Section 9: Complaints and Investigations Notices Received

Section 31Section 33Section 35Court actionTotal
53008

Section 10: Privacy Impact Assessments (PIAs) and Personal Information Banks (PIBs) 

10.1 Privacy Impact Assessments
Number of PIAs completed1
Number of PIAs modified0
10.2 Institution-specific and Central Personal Information Banks
Personal Information BanksActiveCreatedTerminatedModified
Institution-specific2000
Central71000
Total73000

Section 11: Privacy Breaches

11.1 Material Privacy Breaches reported
Number of material privacy breaches reported to TBS1
Number of material privacy breaches reported to OPC1
11.2 Non-Material Privacy Breaches
Number of non-material privacy breaches16

Section 12: Resources Related to the Privacy Act

12.1 Allocated Costs
ExpendituresAmount
Salaries$212,939
Overtime$0
Goods and Services$82,703
  1. Professional services contracts
$2,600 
  1. Other
$80,103
Total$295,642
12.2 Human Resources
ResourcesPerson Years Dedicated to Privacy Activities
Full-time employees2,131
Part-time and casual employees0.000
Regional staff0.000
Consultants and agency personnel0.000
Students0.000
Total2.131

Note: Enter values to three decimal places.

Appendix C: Supplemental Statistical Report on the Access to Information Act and the Privacy Act

Supplemental Statistical Report on the Access to Information Act and the Privacy Act

Name of institution: Canadian Human Rights Commission

Reporting period: 2023-04-01 to 2024-03-31

Section 1: Open Requests and Complaints Under the Access to Information Act

1.1 Enter the number of open requests that are outstanding from previous reporting periods.
Fiscal Year Open Requests Were ReceivedOpen Requests that are Within Legislated Timelines as of March 31, 2024Open Requests that are Beyond Legislated Timelines as of March 31, 2024Total
Received in 2023-24459
Received in 2022-23000
Received in 2021-22000
Received in 2020-21000
Received in 2019-20000
Received in 2018-19000
Received in 2017-18000
Received in 2016-17000
Received in 2015-16000
Received in 2014-15 or earlier000
Total456

Row 11, Col. 3 of Section 1.1 must equal Row 7, Col. 1 of Se 2023-24 Statistical Report on the Access to Information Act

1.2 Enter the number of open complaints with the Information Commissioner of Canada that are outstanding from previous reporting periods.
Fiscal Year Open Complaints Were Received by InstitutionNumber of Open Complaints
Received in 2023-240
Received in 2022-231
Received in 2021-220
Received in 2020-210
Received in 2019-200
Received in 2018-190
Received in 2017-180
Received in 2016-170
Received in 2015-160
Received in 2014-15 or earlier0
Total1

Section 2: Open Requests and Complaints Under the Privacy Act

2.1 Enter the number of open requests that are outstanding from previous reporting periods.
Fiscal Year Open Requests Were ReceivedOpen Requests that are Within Legislated Timelines as of March 31, 2024Open Requests that are Beyond Legislated Timelines as of March 31, 2024Total
Received in 2023-24033
Received in 2022-23000
Received in 2021-22000
Received in 2020-21000
Received in 2019-20000
Received in 2018-19000
Received in 2017-18000
Received in 2016-17000
Received in 2015-16000
Received in 2014-15 or earlier000
Total033
2.2 Enter the number of open complaints with the Privacy Commissioner of Canada that are outstanding from previous reporting periods.
Fiscal Year Open Complaints Were Received by InstitutionNumber of Open Complaints
Received in 2023-244
Received in 2022-230
Received in 2021-221
Received in 2020-210
Received in 2019-200
Received in 2018-190
Received in 2017-180
Received in 2016-170
Received in 2015-160
Received in 2014-15 or earlier0
Total5

Section 4: Universal Access under the Privacy Act

How many requests were received from foreign nationals outside of Canada in 2023-24?0
Corporate Publications
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