Last Updated: June 2026 (v1)
Effective Date: June 2026
Review Date: June 2027
Purpose
This policy sets out how Ocasa Management Limited (“the Company”) will manage and respond to complaints relating to the handling of personal data. It aims to ensure that concerns are dealt with fairly, consistently and promptly, while promoting transparency and accountability in our data protection practices.
We encourage individuals to raise any concerns with us in the first instance so that we have the opportunity to investigate and, where appropriate, resolve the matter. Nothing in this policy prevents an individual from exercising their legal right to raise concerns with the UK Information Commissioner’s Office (ICO).
Scope
This policy applies to complaints relating to the Company’s processing of personal data. Parties including but not limited to the following list may refer to this policy:
The policy covers complaints concerning compliance with applicable data protection legislation, including concerns about the collection, use, storage, sharing, retention, security or accuracy of personal data, or the handling of an individual’s data protection rights.
This policy may be amended at any time.
Raising a data protection complaint
Individuals who believe that their personal data has been handled incorrectly or who have concerns about the Company’s data protection practices should contact the Company as soon as possible, providing sufficient information to allow the issue to be investigated.
Where possible, the complaint should include:
Complaints must be submitted to the following email address: privacy@ocasahomes.co.uk
Our approach to complaints
The Company is committed to handling data protection complaints fairly, objectively and without unnecessary delay.
Upon receipt of a complaint, we will:
We will aim to investigate complaints without undue delay and will keep the complainant updated during the course of the investigation. The complexity of complaints may vary, and the time required to investigate will depend on the circumstances. If additional time is required to fully investigate the complaint, the complainant will be informed.
Records of complaints
All data protection complaints will be recorded on the Company’s internal Complaints Register.
The register will include the following details, where appropriate:
Escalation
If an individual remains dissatisfied after receiving the Company’s response, they may choose to raise their concerns with the UK Information Commissioner’s Office or seek any other remedies available to them under applicable law.
The Company will cooperate with any lawful enquiries from the relevant regulatory authorities and will continue to engage constructively with individuals seeking to resolve data protection concerns.
Quality and compliance review
We value feedback and use information gathered through complaints to help us review our data protection practices where appropriate.
Where relevant, the outcome of a complaint may inform our ongoing assessment of our policies and procedures to support the effective handling of personal data and compliance with applicable data protection requirements.