HomeMy WebLinkAbout2.e. Body Worn Camera Policy
EXECUTIVE SUMMARY
City Council Work Session: February 13, 2017
AGENDA ITEM: Body Worn Camera Policy AGENDA SECTION:
Discussion
PREPARED BY: Mitchell Scott, Police Chief AGENDA NO. 2.e.
ATTACHMENTS: Body Worn Camera Policy APPROVED BY: LJM
RECOMMENDED ACTION: Discussion only.
ISSUE
The implementation of body worn cameras and a body worn camera policy.
BACKGROUND
During the last several years, body worn cameras have been a hot topic with not only the public but within
the law enforcement community. The primary concern with body worn cameras has been the data and
who would have access to the data. In May 2016, Governor Dayton signed a bill governing the data
captured by cameras worn by police officers. The new State Statute requires agencies who are
implementing the use of body worn cameras to have a policy regarding their use and subsequent data.
The Rosemount Police Department has researched this topic and believes while body cameras will not tell
the entire story of an incident, they will assist in gathering facts and be another tool to assist the
department when investigating incidents. The Rosemount Police Department currently operates a squad
video system that offers a body worn camera as well. Due to the department already maintaining a squad
video system and software, the department has researched the additional camera and would test this
product to ensure it meets the City’s needs.
The Rosemount Police Department has worked with City Attorney Mary Tietjen and the League of MN
Cities in developing this policy. Ms. Tietjen believes the policy we have developed sets the standard for
other agencies to follow.
RECOMMENDED ACTION
Discussion only at this time.
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 1
Purpose
The primary purpose of using body-worn-cameras (BWCs) is to capture evidence arising
from police-citizen encounters. This policy sets forth guidelines governing the use of
BWCs and administering the data which results. Compliance with these guidelines is
mandatory, but it is recognized that officers must also attend to other primary duties and
the safety of all concerned, sometimes in circumstances that are tense, uncertain, rapidly
evolving, and dangerous.
Policy
It is the policy of this department to authorize and require the use of department-issued
BWCs as set forth below, and to administer BWC data as provided by law.
Scope
This policy governs the use of BWCs in the course of official duties. It does not apply to
the use of in-car camera (ICC) recording systems. The chief or chief’s designee may
supersede this policy by providing specific instructions for BWC use to individual
officers, or providing specific instructions pertaining to particular events or classes of
events, including but not limited to political rallies and demonstrations. The chief or
designee may also provide specific instructions or standard operating procedures for
BWC use to officers assigned to specialized details, such as carrying out duties in courts
or guarding prisoners or patients in hospitals and mental health facilities.
Definitions
The following phrases have special meanings as used in this policy:
A. MGDPA or Data Practices Act refers to the Minnesota Government Data
Practices Act, Minn. Stat. § 13.01, et seq.
B. Records Retention Schedule refers to the General Records Retention Schedule
for Minnesota Cities.
C. Law enforcement-related information means information captured or available
for capture by use of a BWC that has evidentiary value because it documents
events with respect to a stop, arrest, search, citation, or charging decision.
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 2
D. Evidentiary value means that the information may be useful as proof in a
criminal prosecution, related civil or administrative proceeding, further
investigation of an actual or suspected criminal act, or in considering an allegation
against a law enforcement agency or officer.
E. General citizen contact means an informal encounter with a citizen that is not
and does not become law enforcement-related or adversarial, and a recording of
the event would not yield information relevant to an ongoing investigation.
Examples include, but are not limited to, assisting a motorist with directions,
summoning a wrecker, or receiving generalized concerns from a citizen about
crime trends in his or her neighborhood.
F. Adversarial means a law enforcement encounter with a person that becomes
confrontational, during which at least one person expresses anger, resentment, or
hostility toward the other, or at least one person directs toward the other verbal
conduct consisting of arguing, threatening, challenging, swearing, yelling, or
shouting. Encounters in which a citizen demands to be recorded or initiates
recording on his or her own are deemed adversarial.
G. Unintentionally recorded footage is a video recording that results from an
officer’s inadvertence or neglect in operating the officer’s BWC, provided that no
portion of the resulting recording has evidentiary value. Examples of
unintentionally recorded footage include, but are not limited to, recordings made
in station house locker rooms, restrooms, and recordings made while officers
were engaged in conversations of a non-business, personal nature with the
expectation that the conversation was not being recorded.
H. Official duties, for purposes of this policy, means that the officer is on duty and
performing authorized law enforcement services on behalf of this agency.
Use and Documentation
A. Officers may use only department-issued BWCs in the performance of official
duties for this agency or when otherwise performing authorized law enforcement
services as an employee of this department.
B. Officers who have been issued BWCs shall operate and use them consistent with
this policy. Officers shall conduct a function test of their issued BWCs at the
beginning of each shift to make sure the devices are operating properly. Officers
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 3
noting a malfunction during testing or at any other time shall promptly report the
malfunction to the officer’s supervisor and shall document the report in writing.
Supervisors shall take prompt action to address malfunctions and document the
steps taken in writing.
C. Officers should wear their issued BWCs at the location on their body and in the
manner specified in training.
D. Officers must document BWC use and non-use as follows:
1. Whenever an officer makes a recording, the existence of the recording shall be
documented in an incident report, citation, computer aided dispatch (CAD)
records, Panasonic Arbitrator 360 records, or other documented record of the
event.
2. Whenever an officer fails to record an activity that is required to be recorded
under this policy or captures only a part of the activity, the officer must
document the circumstances and reasons for not recording in an incident
report, CAD record, or other documented record of the event. Supervisors
shall review these reports and initiate any corrective action deemed necessary.
E. The department will maintain the following records and documents relating to
BWC use, which are classified as public data:
a. The total number of BWCs owned or maintained by the agency;
b. A daily record of the total number of BWCs actually deployed and used by
officers and, if applicable, the precincts in which they were used;
c. The total amount of recorded BWC data collected and maintained; and
d. This policy, together with the Records Retention Schedule.
General Guidelines for Recording
A. Officers shall activate their BWCs when anticipating that they will be involved in,
become involved in, or witness other officers of this agency involved in a pursuit,
Terry stop of a motorist or pedestrian, search, seizure, arrest, use of force,
adversarial contact, and during other activities likely to yield information having
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 4
evidentiary value. However, officers need not activate their cameras when it
would be unsafe, impossible, or impractical to do so, but such instances of not
recording when otherwise required must be documented as specified in the Use
and Documentation guidelines, part (D)(2) (above).
B. Officers have discretion to record or not record general citizen contacts.
C. Officers have no affirmative duty to inform people that a BWC is being operated
or that the individuals are being recorded.
D. Once activated, the BWC should continue recording until the conclusion of the
incident or encounter, or until it becomes apparent that additional recording is
unlikely to capture information having evidentiary value. The officer having
charge of a scene shall likewise direct the discontinuance of recording when
further recording is unlikely to capture additional information having evidentiary
value. If the recording is discontinued while an investigation, response, or
incident is ongoing, officers shall state the reasons for ceasing the recording on
camera before deactivating their BWC. If circumstances change, officers shall
reactivate their cameras as required by this policy to capture information having
evidentiary value.
E. Officers shall not intentionally block the BWC’s audio or visual recording
functionality to defeat the purposes of this policy.
F. Notwithstanding any other provision in this policy, officers shall not use their
BWCs to record other agency personnel during non-enforcement related
activities, such as during pre- and post-shift time in locker rooms, during meal
breaks, or during other private conversations, unless recording is authorized as
part of an administrative or criminal investigation.
Special Guidelines for Recording
Officers may, in the exercise of sound discretion, determine:
A. To use their BWCs to record any police-citizen encounter if there is reason to
believe the recording would potentially yield information having evidentiary
value, unless such recording is otherwise expressly prohibited.
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 5
B. To use their BWCs to take recorded statements from persons believed to be
victims of and witnesses to crimes, and persons suspected of committing crimes,
considering the needs of the investigation and the circumstances pertaining to the
victim, witness, or suspect.
In addition,
C. Officers need not record persons being provided medical care unless there is
reason to believe the recording would document information having evidentiary
value. When responding to an apparent mental health crisis or event, BWCs shall
be activated as necessary to document any use of force and the basis for it, and
any other information having evidentiary value, but need not be activated when
doing so would serve only to record symptoms or behaviors believed to be
attributable to the mental health issue.
D. Officers shall use their BWC and ICC systems to record their transportation and
the physical transfer of persons in their custody to hospitals, detox and mental
health care facilities, juvenile detention centers, and jails, but otherwise should
not record in these facilities unless the officer anticipates witnessing a criminal
event or being involved in or witnessing an adversarial encounter or use-of-force
incident.
Downloading and Labeling Data
A. Each officer using a BWC is responsible for transferring or assuring the proper
transfer of the data from his or her camera to the Arbitrator 360 data storage
location by the end of that officer’s shift. However, if the officer is involved in a
shooting, in-custody death, or other law enforcement activity resulting in death or
great bodily harm, a supervisor or investigator shall take custody of the officer’s
BWC and assume responsibility for transferring the data from it.
B. Officers shall label the BWC data files at the time of video capture or transfer to
storage, and should consult with a supervisor if in doubt as to the appropriate
labeling. Officers should assign as many of the following labels as are applicable
to each file:
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 6
1. Report: The recording was made during an event which resulted in the
creation of an incident report. 10 year retention
2. Citation with no report: The recording was made during an event which
resulted in the issuance of one or more citations, but no incident report was
created. 3 year retention
3. Event with no report: The recording was made during an event which did
not require an incident report or issuance of citation(s). 90 day retention
4. Test: The recording was made during a test of the devices functionality.
90 day retention
5. Unintentionally recorded footage—See Definitions, part G. 90 day retention
C. In addition, officers shall flag each file as appropriate to indicate that it contains
information about data subjects who may have rights under the MGDPA limiting
disclosure of information about them. These individuals include:
1. Victims and alleged victims of criminal sexual conduct and sex trafficking.
2. Victims of child abuse or neglect.
3. Vulnerable adults who are victims of maltreatment.
4. Undercover officers.
5. Informants.
6. When the video is clearly offensive to common sensitivities.
7. Victims of and witnesses to crimes, if the victim or witness has requested not
to be identified publicly.
8. Individuals who called 911, and services subscribers whose lines were used to
place a call to the 911 system.
9. Mandated reporters.
10. Juvenile witnesses, if the nature of the event or activity justifies protecting the
identity of the witness.
11. Juveniles who are or may be delinquent or engaged in criminal acts.
12. Individuals who make complaints about violations with respect to the use of
real property.
13. Officers and employees who are the subject of a complaint related to the
events captured on video.
14. Other individuals whose identities the officer believes may be legally
protected from public disclosure.
D. Labeling and flagging designations may be corrected or amended based on
additional information.
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 7
Administering Access to BWC Data
A. Data subjects. Under Minnesota law, the following are considered data subjects
for purposes of administering access to BWC data:
1. Any person or entity whose image or voice is documented in the data.
2. The officer who collected the data.
3. Any other officer whose voice or image is documented in the data, regardless
of whether that officer is or can be identified by the recording.
B. BWC data is presumptively private. BWC recordings are classified as private
data about the data subjects unless there is a specific law that provides differently.
As a result:
1. BWC data pertaining to people is presumed private, as is BWC data
pertaining to businesses or other entities.
2. Some BWC data is classified as confidential (see C. below).
3. Some BWC data is classified as public (see D. below).
C. Confidential data. BWC data that is collected or created as part of an active
criminal investigation is confidential. This classification takes precedence over
the “private” classification listed above and the “public” classifications listed
below.
D. Public data. The following BWC data is public:
1. Data documenting the discharge of a firearm by a peace officer in the course
of duty, other than for training or the killing of an animal that is sick, injured,
or dangerous.
2. Data that documents the use of force by a peace officer that results in
substantial bodily harm.
3. Data that a data subject requests to be made accessible to the public, subject to
redaction. Data on any data subject (other than a peace officer) who has not
consented to the public release must be redacted if practicable. In addition,
any data on undercover officers must be redacted.
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 8
4. Data that documents the final disposition of a disciplinary action against a
public employee.
However, if another provision of the Data Practices Act classifies data as private
or otherwise not public, the data retains that other classification. For instance, data
that reveals protected identities under Minn. Stat. § 13.82, subd. 17 (e.g., certain
victims, witnesses, and others) should not be released even if it would otherwise
fit into one of the public categories listed above.
E. Access to BWC data by non-employees. Officers shall refer members of the
media or public seeking access to BWC data to the Records Supervisor or Chief
of Police, who shall process the request in accordance with the MGDPA and other
governing laws. In particular:
1. An individual shall be allowed to review recorded BWC data about him- or
herself and other data subjects in the recording, but access shall not be
granted:
a. If the data was collected or created as part of an active investigation.
b. To portions of the data that the agency would otherwise be prohibited
by law from disclosing to the person seeking access, such as portions
that would reveal identities protected by Minn. Stat. § 13.82, subd. 17.
2. Unless the data is part of an active investigation, an individual data subject
shall be provided with a copy of the recording upon request, but subject to the
following guidelines on redaction:
a. Data on other individuals in the recording who do not consent to the
release must be redacted.
b. Data that would identify undercover officers must be redacted.
c. Data on other officers who are not undercover, and who are on duty
and engaged in the performance of official duties, may not be
redacted.
F. Access by peace officers and law enforcement employees. No employee may
have access to the department’s BWC data except for legitimate law enforcement
or data administration purposes:
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 9
1. Officers may access and view stored BWC video only when there is a
business need for doing so, including the need to defend against an allegation
of misconduct or substandard performance. Except as provided in the critical
incident response policy, officers may review video footage of an incident in
which they were involved prior to preparing a report, giving a statement, or
providing testimony about the incident.
2. Agency personnel shall document their reasons for accessing stored BWC
data at the time of each access. Agency personnel are prohibited from
accessing BWC data for non-business reasons and from sharing the data for
non-law enforcement related purposes, including but not limited to uploading
BWC data recorded or maintained by this agency to public and social media
websites.
3. Employees seeking access to BWC data for non-business reasons may make a
request for it in the same manner as any member of the public.
G. Other authorized disclosures of data. Officers may display portions of BWC
footage to witnesses as necessary for purposes of investigation as allowed by
Minn. Stat. § 13.82, subd. 15, as may be amended from time to time. Officers
should generally limit these displays in order to protect against the incidental
disclosure of individuals whose identities are not public. Protecting against
incidental disclosure could involve, for instance, showing only a portion of the
video, showing only screen shots, muting the audio, or playing the audio but not
displaying video. In addition,
1. BWC data may be shared with other law enforcement agencies only for
legitimate law enforcement purposes that are documented in writing at the
time of the disclosure.
2. BWC data shall be made available to prosecutors, courts, and other criminal
justice entities as provided by law.
Data Security Safeguards
A. Access to electronically archived BWC data shall be controlled by secure and
individualized login credentials. BWC data storage is self-contained within the
Arbitrator 360 system. Once data is captured, it migrates through multiple secure
hard drives, making backup copies of the data. BWC data is also automatically
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 10
stored to a secondary external server, making it accessible in the event data cannot
be retrieved from the primary server for some reason.
B. Access to BWC data from city or personally owned and approved devices shall be
managed in accordance with established city policy.
C. Officers shall not intentionally edit, alter, or erase any BWC recording unless
otherwise expressly authorized by the chief or the chief’s designee.
D. As required by Minn. Stat. § 13.825, subd. 9, as may be amended from time to
time, this agency shall obtain an independent biennial audit of its BWC program.
Agency Use of Data
A. At least once a month, supervisors will randomly review BWC usage by each
officer to ensure compliance with this policy, and to identify any performance
areas in which additional training or guidance is required.
B. In addition, supervisors and other assigned personnel may access BWC data for
the purposes of reviewing or investigating a specific incident that has given rise to
a complaint or concern about officer misconduct or performance.
C. Nothing in this policy limits or prohibits the use of BWC data as evidence of
misconduct or as a basis for discipline.
D. Officers should contact their supervisors to discuss retaining and using BWC
footage for training purposes. Officer objections to preserving or using certain
footage for training will be considered on a case-by-case basis. Field training
officers may utilize BWC data with trainees for the purpose of providing coaching
and feedback on the trainees’ performance.
Data Retention
A. All BWC data shall be retained for a minimum period of 90 days. There are no
exceptions for erroneously recorded or non-evidentiary data.
B. Data documenting the discharge of a firearm by a peace officer in the course of
duty, other than for training or the killing of an animal that is sick, injured, or
dangerous, must be maintained for a minimum period of one year.
C. Certain kinds of BWC data must be retained for minimum of six years:
1. Data that documents the use of deadly force by a peace officer, or force of a
sufficient type or degree to require a use of force report or supervisory review.
2. Data documenting circumstances that have given rise to a formal complaint
against an officer.
Policy
324
Rosemount Police Department
Policy Manual
Use of Body Worn Cameras EFFECTIVE
TBD
Rosemount Police Department Chapter #324 – Use of Body-Worn Cameras
Policy Manual Page 11
D. Other data having evidentiary value shall be retained for the period specified in
the Records Retention Schedule. When a particular recording is subject to
multiple retention periods, it shall be maintained for the longest applicable period.
E. Subject to Part F (below), all other BWC footage that is classified as non-
evidentiary, becomes classified as non-evidentiary, or is not maintained for
training shall be destroyed after 90 days.
F. Upon written request by a BWC data subject, the agency shall retain a recording
pertaining to that subject for an additional time period requested by the subject of
up to 180 days. The agency will notify the requestor at the time of the request that
the data will then be destroyed unless a new written request is received.
G. The department shall maintain an inventory of BWC recordings having
evidentiary value.
H. The department will post this policy, together with its Records Retention
Schedule, on its website.
Compliance
Supervisors shall monitor for compliance with this policy. The unauthorized access to or
disclosure of BWC data may constitute misconduct and subject individuals to
disciplinary action and criminal penalties pursuant to Minn. Stat. § 13.09.