The Canadian Privacy Law Blog: Developments in privacy law and writings of a Canadian privacy lawyer, containing information related to the Personal Information Protection and Electronic Documents Act (aka PIPEDA) and other Canadian and international laws.

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The author of this blog, David T.S. Fraser, is a Canadian privacy lawyer who practices with the firm of McInnes Cooper. He is the author of the Physicians' Privacy Manual. He has a national and international practice advising corporations and individuals on matters related to Canadian privacy laws.

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The views expressed herein are solely the author's and should not be attributed to his employer or clients. Any postings on legal issues are provided as a public service, and do not constitute solicitation or provision of legal advice. The author makes no claims, promises or guarantees about the accuracy, completeness, or adequacy of the information contained herein or linked to. Nothing herein should be used as a substitute for the advice of competent counsel.

This web site is presented for informational purposes only. These materials do not constitute legal advice and do not create a solicitor-client relationship between you and David T.S. Fraser. If you are seeking specific advice related to Canadian privacy law or PIPEDA, contact the author, David T.S. Fraser.

Tuesday, July 15, 2008

Ask the privacy lawyer: Data in transit outside of Canada 

I received the following question the other day:

In terms of personal data that was captured by a healthcare company while a patient in Canada, and relayed to another city in Canada for analysis, further use, etc., does that patient data have to remain in Canada ? or is it allowed to traverse the US border at any time during its journey across the continent ? My concern is that communication networks don't seem to be restricted to intra-Canada operation or due to congestion or failure, most have to use large data highways that may cross over into the United States.

Under PIPEDA, is patient or personal data limited to just traverse within Canada ?

In Canada, there are no restrictions on the export of personal information except for personal information that is subject to the Freedom of Information and Protection of Privacy Acts of Alberta, British Columbia and Nova Scotia, and the equivalent in Quebec. Each of those provinces have enacted laws in response to the USA Patriot Act. The Patriot Act gives American law enforcement with much easier access to information, including personal information. The laws in these provinces don't deal with information in transit, but talk about the storage and access to that information. For example, from Nova Scotia's PIIDPA:
5 (1) A public body shall ensure that personal information in its custody or under its control and a service provider or associate of a service provider shall ensure that personal information in its custody or under its control is stored only in Canada and accessed only in Canada, unless...
While there is no caselaw on this issue, I doubt that any of the privacy regulators of those provinces or the courts would find a contravention of this law if data packets containing personal information were routed through the United States on their way between two points in Canada. The information may be intercepted while in transit, but there users have little control over how this data travels. For example, a traceroute function from my home computer to ubc.ca shows that most of the data travels through the US:
Tracing route to ubc.ca [64.40.111.228] over a maximum of 30 hops:

1 2 ms 1 ms 1 ms [REDACTED]

2 20 ms 9 ms 9 ms [REDACTED]

3 17 ms 12 ms 10 ms [REDACTED]

4 11 ms 8 ms 8 ms hlfx-br1.eastlink.ca [24.222.79.205]

5 18 ms 28 ms 18 ms te-3-1.car2.Boston1.Level3.net [4.79.2.89]

6 22 ms 19 ms 18 ms ae-2-5.bar2.Boston1.Level3.net [4.69.132.250]

7 19 ms 19 ms 22 ms ae-0-11.bar1.Boston1.Level3.net [4.69.140.89]

8 46 ms 54 ms 49 ms ae-5-5.ebr1.Chicago1.Level3.net [4.69.140.94]

9 44 ms 52 ms 39 ms ae-68.ebr3.Chicago1.Level3.net [4.69.134.58]

10 73 ms 72 ms 70 ms ae-3.ebr2.Denver1.Level3.net [4.69.132.61]

11 99 ms 90 ms 90 ms ae-2.ebr2.Seattle1.Level3.net [4.69.132.53]

12 90 ms 89 ms 89 ms ae-22-52.car2.Seattle1.Level3.net [4.68.105.35]

13 90 ms 89 ms 88 ms unknown.Level3.net [64.154.178.134]

14 93 ms 91 ms 102 ms p2-1.pr0.yvrx.hgtn.net [66.113.197.5]

15 93 ms 93 ms 91 ms r1-hgtn.netnation.com [64.40.127.254]

16 102 ms 95 ms 93 ms itservices.ubc.ca [64.40.111.228]

Trace complete.

This leads to the question of whether your information is safe from interception during transit through the US. It's really not safe from interception at any point on the internet. At each point above, the signals can be intercepted. There was recent speculation that a collaboration between AT&T the National Security Agency allowed national security organs of the US to vacuum international internet and telco traffic from at least one AT&T facility. (See: EFF's class action against AT&T.) Do they have the tools to single out particular traffic? Probably.

So what to do? If sensitive information is being transferred between two points on the internet, it should be encrypted and sent through a secure "tunnel".

Update: Added reference to Quebec statute. Thanks, commenter.

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7/15/2008 07:22:00 PM  :: (1 comments)  ::  Backlinks
Comments:
So far as I know, British Columbia, Alberta, Nova Scotia *and* Quebec have such legislation. You didn't mention Quebec, though, so I'm curious: was the omission intentional?
 
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