Post by account_disabled on Mar 9, 2024 1:17:10 GMT -8
A broader definition of personal data All information that, directly or otherwise, can lead to the identification of a person, falls under the definition of personal data for the GDPR: we are no longer just talking about personal details, images or health information, but also about written posts on social media, IP addresses, profiles on online platforms. Strengthening the conditions for consensus The new regulation does not place so much emphasis on the different contexts in which explicit consent to data processing is required, but rather on the obligation of clarity and transparency that the company must undertake. In other words, you will always have to ask your users for a form of consent in an easily A broader definition of personal data All information that, directly or otherwise, can lead to the identification of a person, falls under the definition of personal data for.
GDPR: we are no longer just talking about personal details, images or Denmark Telegram Number Data health information, but also about written posts on social media, IP addresses, profiles on online platforms. Strengthening the conditions for consensus The new regulation does not place so much emphasis on the different contexts in which explicit consent to data processing is required, but rather on the obligation of clarity and transparency that the company must undertake. In other words, you will always have to ask your users for a form of consent in an easily understandable way that cannot be confused with other contractual conditions; furthermore, the customer must be able to withdraw his consent with the same simple method with which he previously provided it to you. The principle of 'accountability' and that of 'Privacy by Design' These are two interconnected elements, always present as theoretical foundations but never until now truly explained in a regulatory instrument.
By 'accountability' we mean the need - for your company - to demonstrate, through concrete activities and documents, as well as with the help of all the technological supports at your disposal, that you have complied with the provisions of the GDPR. understandable way that cannot be confused with other contractual conditions; furthermore, the customer must be able to withdraw his consent with the same simple method with which he previously provided it to you. The principle of 'accountability' and that of 'Privacy by Design' These are two interconnected elements, always present as theoretical foundations but never until now truly explained in a regulatory instrument. By 'accountability' we mean the need - for your company - to demonstrate, through concrete activities and documents, as well as with the help of all the technological supports at your disposal, that you have complied with the provisions of the GDPR.
GDPR: we are no longer just talking about personal details, images or Denmark Telegram Number Data health information, but also about written posts on social media, IP addresses, profiles on online platforms. Strengthening the conditions for consensus The new regulation does not place so much emphasis on the different contexts in which explicit consent to data processing is required, but rather on the obligation of clarity and transparency that the company must undertake. In other words, you will always have to ask your users for a form of consent in an easily understandable way that cannot be confused with other contractual conditions; furthermore, the customer must be able to withdraw his consent with the same simple method with which he previously provided it to you. The principle of 'accountability' and that of 'Privacy by Design' These are two interconnected elements, always present as theoretical foundations but never until now truly explained in a regulatory instrument.
By 'accountability' we mean the need - for your company - to demonstrate, through concrete activities and documents, as well as with the help of all the technological supports at your disposal, that you have complied with the provisions of the GDPR. understandable way that cannot be confused with other contractual conditions; furthermore, the customer must be able to withdraw his consent with the same simple method with which he previously provided it to you. The principle of 'accountability' and that of 'Privacy by Design' These are two interconnected elements, always present as theoretical foundations but never until now truly explained in a regulatory instrument. By 'accountability' we mean the need - for your company - to demonstrate, through concrete activities and documents, as well as with the help of all the technological supports at your disposal, that you have complied with the provisions of the GDPR.