“On17 April 2023 I sent an email to [the Head of Data Digital and Innovation Service] notifying him that certain property in the City of Westminster owned by [the Council] was inaccurately represented by Google maps. Within the body of that communication was a screenshot of the relevant map taken at 19.57 BST on the same date. It reflected the inaccurate information WCC had provided to Ordnance Survey in or about 1999/2000. For ease of reference the text of the email is as follows: From: [Appellant’s personal data redacted] Sent:17 April 2023 21:29 To: [personal data redacted] WCC [personal data redacted]: RE: INACCURATE INFORMATION SHARED WITH GEOPLACE Dear [name redacted]: I refer to previous correspondence and would draw your attention to the mapping below. The errors are the result of information uploaded by the LLPG back in 1999/2000. It persisted on OS Mapping until late March 2021. So far as the Google maps are concerned it continues to this day. Please advise: 1. What action was taken by WCC to seek correction of the mapping; and 2. Please provide paper copies of all relevant documentation in support of your response.”
“I strongly object to and reject your assertion that my request is vexatious. I[t] relates to an issue with regard to Google maps. The matter was brought to the Council's attention in an email dated17 April 2023 (which was copied within myFreedom of Information Act 2000 , UK GDPR and/orData Protection Act 2018 request) addressed to [name redacted] Head of Data Digital & Innovation Service Westminster City Council 64 Victoria Street London SW1E 6QP I require to know what action the Council has taken since becoming aware of the errors in Google maps relating to properties which it owns and in respect of which it has a duty of care towards its residents. It has already been pointed out to the Council (via Executive Director [name redacted]) that a recent TMO notice was partially defective because of the use of Google maps (TMO Ref : 8049/LH). I therefore request an Internal Review.”
“While section 14(1) applies in respect of a request the council may consider various factors which are set out as 4 broad themes as below: 1. the value or serious purpose (of the request) 2. the burden (on the public authority and its staff); 3. the motive (of the requester); 4. any harassment or distress (of and to staff). This review has therefore sought to determine if the response of12 February 2024 addressed these areas in order that section 14(1) was correctly engaged. With regard to value or serious purpose, a public authority must consider this in terms of there being an objective public interest in the information sought. The council’s response of12 February 2024 set out the context / history of this case which identified that this request represents a continuation of a matter of personal interest to you, relating to the naming and numbering of [the Address] in circa 2000. The motive is therefore established as being a matter of personal interest. While this represents one request, the council determined the request posed an unreasonable burden based on (as set out in the response of the12 February 2024 ) the number of requests that have been submitted in this regard over a relatively short time period, relating to an event over twenty years ago. The response also set out that there was a pattern of additional correspondence to be managed in relation to individual requests and received directly by officers across the council. In terms of harassment or distress caused by the request, the council’s response of12 February 2024 set out the impact on staff in dealing with continued requests in pursuance of this matter as well as other general correspondence and formal complaints.”
“ • Stage 1 complaint of Jan 2021, response issued Feb 2021 (in the bundle). NB this refers to emails and phone conversations ongoing since February 2020, and asserts the following: “Please contact Ordnance Survey for queries relating to the accuracy of Ordnance Survey mapping. Westminster City Council is not responsible for the accuracy of Ordnance Survey mapping.” • FOI 19948321, rec March 2021, response issued April 2021 (in the bundle): “Ordnance Survey are responsible for the labelling and content on Ordnance Survey maps. The map extract was supplied by Ordnance Survey and showed the mapping at that time. We recommend contacting Ordnance Survey for further information about the source of map content including labels for that map.” • Stage 2 complaint, response issued May 2021 (in the bundle). This reiterates that: “OS are responsible for the content of the OS maps. Westminster City Council are not responsible for the content of the maps, or for providing information to OS” • Referral to Local Government and Social Care Ombudsman, response issued July 2021 (in the bundle) that they will not investigate. • FOI 28591749 (in the bundle) response issued12 December 2022 that the council is responsible for their own dataset, and to contact OS directly in respect of their responsibilities in relation to OS mapping. • FOI 30853669 (in the bundle) Internal Review response of May 2023 (also covering above FOI 28591749) sets out that: “Please note that Westminster City Council is not responsible for ensuring OS and all other mapping in the public domain is accurate.” “ “Please contact Ordnance Survey for queries relating to the accuracy of Ordnance Survey mapping. Westminster City Council is not responsible for the accuracy of Ordnance Survey mapping.” “Ordnance Survey are responsible for the labelling and content on Ordnance Survey maps. The map extract was supplied by Ordnance Survey and showed the mapping at that time. We recommend contacting Ordnance Survey for further information about the source of map content including labels for that map.” “OS are responsible for the content of the OS maps. Westminster City Council are not responsible for the content of the maps, or for providing information to OS”
“There is… no magic formula – all the circumstances need to be considered in reaching what is ultimately a value judgement as to whether the request in issue is vexatious in the sense of being a disproportionate, manifestly unjustified, inappropriate or improper use of FOIA.”
“As I understand it your concerns are: 1. From the emails included in your email of 21st January I understand the outcome of your correspondence to Ordnance Survey is that the map labels will be updated. I believe you would like this mapping to be used in the Council’s computer systems as soon as possible. 2. You would like us to provide you with an explanation of BLPU points and who is responsible for the positioning thereof. 3. You have advised us that [the Address] is not the only location affected. You have told us specifically about the location of BLPU points relating to other properties in [the Address]. 4. You have requested information specifying the respective roles and responsibilities of Ordnance Survey and/or Westminster City Council in relation to mapping, addressing and databases/gazetteers. 5. You have asked for information about the responsibility for the original positioning of the BLPU points as well who should have ensured the OS mapping was accurate.”
“... You have been advised that the Ambulance Service do not have direct access to Westminster City Council computer systems. I recommend you contact the Ambulance Service about the information used by them for emergency response. Westminster City Council is responsible for maintaining the Local Land and Property Gazetteer (LLPG) to a National Standard called BS7666:2006. The LLPG contains addresses, defined as Basic Land and Property Units (BLPU), and representative point coordinates. There is a requirement for the BLPU coordinates to be located at the visual centre of the building and Ordnance Survey mapping is used by Westminster City Council as a source of information for creating and updating BLPU locations. At the time of your first email to the Council about this matter in February 2020 the location of the BLPU coordinates for your residence, 6 Cottesloe House was within the building footprint shown on the Ordnance Survey map. The point was located close to the visual centre of the building footprint and met the requirements of the BS7666:2006 standard. You asked for the point representing 6 Cottesloe House to be moved to a location more closely representing the property access point. A Westminster City Council Street Naming and Numbering Officer, and the Gazetteer Custodian Officer visited the building in the summer of 2020 to review the address locations. Information from multiple sources including these visits, information you provided to Westminster City Council, and Ordnance Survey mapping was reviewed. In October 2020, as a courtesy, the BLPU coordinates for 6 Cottesloe House were moved to a location, still within the building footprint, and more closely representing the property access point. The location of the point remains close to the visual centre of the building footprint and therefore continues to meet the requirements of the BS7666:2006 standard. Additionally the location of the BLPU points for properties [numbers at the Address] were updated. These updates were made as part of the process of continual improvement of the address database/gazetteer. Thank you for contributing to the process of continual improvement. You asked for other BLPU points to be moved and were advised that this would not be possible due, in part, to the requirement to maintain the LLPG to the BS7666:2006 Standard. You asked for, and were given in January 2021, information about the roles and responsibilities of Ordnance Survey and Westminster City Council for mapping and addressing databases/gazetteers. You have provided copies of some of your email correspondence with Ordnance Survey where it was stated in December 2020 that the building number labelling on the Ordnance Survey maps would be updated by them. ...”
“1. Loading the most recently revised Ordnance Survey mapping into the Westminster Council Computer systems The most recent revision of Ordnance Survey mapping with the revised label for [the Address] has now been received by the Council and the process of loading it into the computer systems is underway. As advised by [Council employee personal data redacted] in previous emails and phone calls the updates to Ordnance Survey mapping are received by the Council on a regular basis and updated into the Westminster City Council computer systems. 2. BLPU point positioning responsibilities As advised by [Council employee personal data redacted] in previous phone calls and in emails of January 2021, the Gazetteer Custodian role at Westminster Council is responsible for the maintenance, upkeep, and improvement of our address database known as the LLPG. When new addresses are added to the LLPG the Gazetteer Custodian will create and position the BLPU points using the Ordnance Survey mapping for reference. The Local Land and Property Gazetteer is a BS7666:2006 compliant address database maintained and used by a relevant local authority. Data entry conventions for the address gazetteer and best practice guidelines are contained in the Data Entry Conventions and Best Practice for the National Land and Property Gazetteer available for reference from the GeoPlace website www.geoplace.co.uk. The most recent revision of Ordnance Survey mapping with the revised label for [the Address] has now been received by the Council and the process of loading it into the computer systems is underway. As advised by [Council employee personal data redacted] in previous emails and phone calls the updates to Ordnance Survey mapping are received by the Council on a regular basis and updated into the Westminster City Council computer systems. As advised by [Council employee personal data redacted] in previous phone calls and in emails of January 2021, the Gazetteer Custodian role at Westminster Council is responsible for the maintenance, upkeep, and improvement of our address database known as the LLPG. When new addresses are added to the LLPG the Gazetteer Custodian will create and position the BLPU points using the Ordnance Survey mapping for reference. The Local Land and Property Gazetteer is a BS7666:2006 compliant address database maintained and used by a relevant local authority. Data entry conventions for the address gazetteer and best practice guidelines are contained in the Data Entry Conventions and Best Practice for the National Land and Property Gazetteer available for reference from the GeoPlace website www.geoplace.co.uk. 3. Positioning of BLPU points for other addresses in[the Address] We have reviewed the location of other BLPU points in relation to the Council’s obligations for maintenance of the LLPG and believe that these points are appropriately located with respect to the Ordnance Survey mapping and the LLPG standards and guidance. The gazetteer is continually improved based on mapping updates and other information. If residents contact us with queries about the LLPG for their property we will consider their concerns as we have done for the concerns you raised about the location of the point for 6 Cottesloe Court. Location of the points in relation to the building access is not a requirement and would in some situations result in the gazetteer not meeting the required standards. Having reviewed all the information available to Westminster City Council I am confident other points in [the Address] are appropriately located in the gazetteer. 4. Roles and responsibilities of Ordnance Survey and/or Westminster City Council in relation to mapping addressing and databases/gazetteers The roles and responsibilities of Westminster City Council for the LLPG address gazetteer creation are summarised in my response to points 2 and 3 above. Please contact Ordnance Survey directly for information about their roles and responsibilities in relation to the Ordnance Survey mapping. 5. Responsibility for the original positioning of the BLPU points as well who should have ensured the OS mapping was accurate As advised by James Johnston in January 2021 the original BLPU points were created from a variety of sources including Ordnance Survey, Royal Mail, and Westminster City Council information. Westminster City Council are not required to, and do not, keep records of the sources of coordinate information for individual address gazetteer points. It is most likely that the original coordinates were created from information held in the Royal Mail Postcode Address File and Ordnance Survey Mapping. Multiple processes are in place to continually improve the data held in the LLPG. Please contact Ordnance Survey for queries relating to the accuracy of Ordnance Survey mapping. Westminster City Council is not responsible for the accuracy of Ordnance Survey mapping. We do work collaboratively with Ordnance Survey as part of the continual improvement programmes of both organisations as demonstrated in in your previous correspondence with both Ordnance Survey and Westminster City Council.”
“Q - Having only recently repositioned the BPLU point for my address you cannot suggest its previous position is historic. So please provide the coordinates as requested. We are not required to and do not keep the history. Having moved the points, we do not have a record of the previous coordinates. Q - You fail to answer the question concerning the obligation of the Council to notify OS of any local changes in particular changes to access. There is no obligation for the Council to notify OS of any local changes. We do work collaboratively with OS as evidenced by the previous correspondence with OS. Q - It is an insult to my intelligence to imply Westminster City Council is somehow outside the loop. They created the new addresses so are responsible for placing the BLPU points which in turn should result in the accurate representation thereof by Ordnance Survey. The BLPU points are now (and were previously) appropriately located. The Council is not responsible for the representation on OS mapping. Q - Notwithstanding the arbitrary policy of WCC as regards the printing of emails, please let me have a hard copy of both your substantive reports. All the information is in the emails sent to you. As you have continually corresponded with the Council by email over the last year this indicates that digital communication is sufficient. The Council is committed to tackling the climate emergency which includes reducing printing wherever possible and therefore we see no reason to print out and resend information that has already been sent digitally by e-mail. The Council however will send a hard copy of this complaint response by post as well as sending a PDF version by e-mail. In summary, OS are responsible for the content of the OS maps. Westminster City Council are not responsible for the content of the maps, or for providing information to OS. Although we do work collaboratively with OS as part of the continual improvement programmes of both organisations there are no obligations either for us to supply information or for OS to use it, and any concerns about OS maps should be directly raised with OS.”