Last updated: January 23, 2023
Centerline Communications, LLC and its Affiliate Companies* (“Centerline Communications,” “we,” or “us”) understands the importance of privacy to our job applicants and takes our responsibility to protect their information seriously. Pursuant to the California Consumer Privacy Act, as may be amended from time to time (“CCPA”), this privacy notice (the “Notice”) explains our online and offline practices regarding the collection, use, and disclosure of “personal information” of job applicants who reside in California. Some of the personal information we collect may be exempt from some or all of the requirements under the CCPA. Please read this Notice carefully so you understand our practices regarding your information.
For more information about the types of information we collect and use in connection with your general access and use of our website, please review our general Privacy Policy located here and website Privacy Notice for California Residents located here.
As defined by the CCPA, “personal information” includes any information that identifies, relates to, describes, references, is reasonably capable of being associated with, or could reasonably be linked, directly or indirectly, with a particular consumer or household. Personal information does not include information that is:
In the past 12 months, Centerline Communications has collected the following categories of personal information from consumers acting as a job applicant of Centerline Communications and disclosed such information to the following categories of third parties for business purposes.
Categories of PI Collected | Examples | Categories of Third Parties to Whom Disclosed |
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Identifiers | Real name, alias, postal or mailing address, email address, telephone number, Social Security Number, driver’s license or state identification card number |
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Personal information types listed in the California Customer Records statute (Cal. Civ. Code § 1798.80(e)) | A name, signature, Social Security Number, physical characteristics or description, address, telephone number, driver’s license or state identification card number, education, or employment information. Some personal information included in this category may overlap with other categories. |
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Internet or other similar network activity | IP addresses, access logs, browsing history, search history, and usage history with respect to job applicant portals or systems |
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Sensory data | Audio recordings, voicemail, or similar information |
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Legally protected classification characteristics | Race, ethnicity, national origin, sex, gender, sexual orientation, gender identity, religion, age, disability, medical or mental condition, military status, familial status |
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Professional or employment-related information | Information regarding prior job experience, positions held, names of prior supervisors |
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Pre-Hire Information | Job application, resume, background check results, drug test results, job interview notes, and candidate evaluation records |
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Consumer-Provided Education Information | Information from resumes regarding educational history; transcripts or records of degrees and vocational certifications obtained |
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Centerline Communications is an equal employment opportunity employer and does not discriminate against job applicants based on gender, race, race, color, creed, religion, sex, pregnancy, national origin, marital status, disability, age, sexual orientation, disability, genetic information or testing, HIV-positive status, veteran’s status or military status, or any other status protected by applicable federal, state or local law.
Centerline Communications collects the above-identified categories of personal information from the following sources:
In the past 12 months, Centerline Communications has not “sold” any categories of personal information, or “shared” any such information for the purposes of cross-context behavioral advertising. Likewise, Centerline Communications does not have actual knowledge of any sales or sharing of personal information regarding minors under 16 years of age.
We use the personal information that we collect from job applicants for the following business or commercial purposes, consistent with and only as permitted by applicable law:
As indicated above, we may share some of the personal information with third-party vendors as necessary for our business purposes. For example, such vendors could include the agencies we use to conduct pre-employment screening (such as background checks and drug screening). From time to time, Centerline Communications may also be required to disclose your information to governmental authorities for the purpose of complying with applicable laws and regulations or in response to legal process.
For each category of personal information identified above, we will retain your personal information only for as long as necessary to fulfill your requests or the purposes for which it was obtained, as set forth in this Notice. The criteria used to determine our retention periods include (i) to fulfill the purpose for which the information was collected, (ii) for as long as we have an ongoing relationship with you, and (iii) as required by a legal obligation to which we are subject.
Centerline Communications does not collect “sensitive personal information” (as defined by the CCPA) for the purposes of inferring characteristics about California consumers. Accordingly, Centerline Communications treats such information as “personal information” consistent with applicable provisions of the CCPA.
The CCPA provides California residents with the rights discussed below. For convenience, and as required by the CCPA, we explain how you can exercise those rights, to the extent they are applicable.
To exercise the rights described above, you—or someone authorized to act on your behalf—must submit a verifiable consumer request to us by sending an e-mail to: legal@clinellc.com with the subject line: “CCPA Request” or calling us at (844) 748-8878. Your request must include your name, e-mail address, mailing address, phone number, the nature of your inquiry and the context in which we may have received your information. If you are an agent submitting a request on behalf of a consumer, we may request that you submit a signed permission from the consumer authorizing you to make the request. In order to protect the privacy and data security of consumers, the verifiable consumer request must:
As indicated above, please be aware that the CCPA provides certain limitations and exceptions to the foregoing rights, which may result in us denying or limiting our response to your request.
You may only make a verifiable consumer request for access or data portability twice within a 12-month period. 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 may also request that you provide additional information if needed to verify your identity or authority to make the request. We cannot respond to your request or 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 or the consumer on whose behalf you are making the request.
The CCPA requires us to respond to a verifiable consumer request within forty-five (45) days of its receipt; however, we may extend that period by an additional 45 days. If we require more time, we will inform you of the reason and extension period in writing. We will deliver our written response via e-mail. Any disclosures we provide will only cover the 12-month period preceding the receipt of the verifiable consumer request, provided that you may request disclosure beyond the 12-month period as permitted by the CCPA. The response we provide will also explain the reasons we cannot comply with a request, if applicable. For data portability requests, we will select the format of our response; the format will be readily useable and should allow you to transmit the information from one entity to another. We will not charge a fee to process or respond to a verifiable consumer request unless it is excessive, repetitive, or manifestly unfounded. If we determine that the request warrants a fee, we will tell you why we made that decision and provide you with a cost estimate before completing the request.
We will not discriminate or retaliate against a job applicant for exercising their rights under the CCPA, including by denying you benefits or services that we make available, charging you different prices or rates for services or benefits, providing a different level or quality of services or benefits, or suggesting that you may receive a different price or level of quality of services or benefits.
We reserve the right to amend this Notice at our discretion and at any time. If there are changes to this Notice, we will post them here and update the “Last Updated” date at the top of this document. Continued use of this website after any changes is deemed to be acceptance of those changes. Please check this page periodically for updates.
Questions regarding this privacy Notice, our use and disclosure your information, or the employment process should be directed to:
Phone: (844) 748-8878
Email: hr@clinellc.com
Centerline Communications, LLC
Attn: Chief Human Resources Officer
750 W. Center Street, #301 West Bridgewater, MA 02379