The University of California Electronic Communications Policy (ECP) affirms that the University does not examine or disclose electronic communications records without the holder's 1 consent —except under very limited circumstances as described in ECP § IV.B, "Access Without Consent".
Consent of the record holder is normally required.
While ECP provisions do not cover former employees, campus practice extends similar courtesies of consent or notice and least degree of invasiveness to former employees when possible. Instructions for Accessing Former Employee Email or Files are different from those described below.
An electronic communication holder's consent shall be obtained by the University prior to any access for the purpose of examination or disclosure of the contents of University electronic communications records in the holder's possession (see ECP section IV. Privacy and Confidentiality) — except under very limited circumstances.
When the contents of electronic communications must be examined, monitored, or disclosed without the holder's consent, such actions must be authorized as described in ECP § IV.B.: Access Without Consent. (See that Policy for detailed information: Electronic Communications Policy).
Per the UC Electronic Communications Policy, the University shall permit the examination or disclosure of electronic communications records without the consent of the holder of such records only:
Advice of an appropriate UC Attorney must be sought in advance, even under "emergency circumstances", before gaining access without the holder's consent to any University electronic communications when:
See a step-by-step procedural guide [PDF] for Nonconsensual Access to UC Berkeley Electronic Communications.
The Berkeley Campus authorizing official for access without consent to electronic communications depends on the record holder's campus affiliation:
| Submit the Access WITHOUT consent request form to request non-consensual access to electronic communications. |
PLEASE NOTE: The submission and review process for Access to Electronic Communications forms now uses an e-signature process via DocuSign. See the following guidance regarding how to use DocuSign.
Requests to delete harmful emails that have been previously sent and received will only be considered under the following circumstances:
Notice to the recipient is not required for email deletions necessary to prevent harm to the reliability or the security of the service. However, for all other deletion requests, notice must be provided to affected individuals.
For more information regarding requests to delete previously sent emails, contact the Privacy Office.
General coordination and assistance
The Campus Privacy Officer, Office of Ethics, Risk and Compliance Services is responsible for coordinating any requests under the ECP for access to electronic communication records without the consent of the holder. Questions about these procedures or about other ECP provisions may be directed to: privacyoffice@berkeley.edu, ph: (510) 664-7775. See also: Campus Privacy & Confidentiality Resource Contacts
1 Systems administrators and other operators of University electronic communications services are not considered “electronic communication holders” with regard to electronic communications not specifically created by or addressed to them.