Compliance
Facial recognition is one of the most heavily scrutinised technologies under UK data protection law. This page summarises your responsibilities; it is not legal advice. Read the full documents under /legal and take your own advice.
Who is responsible for what
- You are the data controller for the recognition you operate. The lawful basis, DPIA, signage, and data-subject rights are your responsibility.
- Pariah is your processor, governed by the Data Processing Agreement.
Before you process anyone
- Lawful basis + condition. Establish a UK GDPR Article 6 basis and an Article 9 condition for special-category biometric data. See the Legal Basis Guidance.
- DPIA. Complete a Data Protection Impact Assessment — mandatory for facial recognition. Use the DPIA template.
- Notice. Put up clear signage and a privacy notice wherever you monitor.
- Proportionality. Only enrol individuals you can lawfully process, justify each entry, and set sensible retention.
How the platform helps
- Continuous detection runs locally on the NVR, minimising cloud exposure of biometric data.
- Configurable retention for detections, search logs, incidents, and audit logs.
- Role-based access and audit logging.
- Legal acceptance of the Terms, DPA, and AUP is required during onboarding and tracked per organisation under Settings → Legal & Compliance.
Data-subject rights
You must handle access and erasure requests — including for individuals on a watchlist. Retention settings and profile management in the dashboard support this, but the obligation is yours.
The documents
Terms of Service · Privacy Policy · DPA · Acceptable Use Policy · Legal Basis Guidance · DPIA template · Cookie Policy