The CNIL just published their guidelines regarding mobile applications measuring frequency and presence in public spaces. Here the summary of the most relevant points:
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What is meant by “other processors” in the Art. 28 (2) GDPR? Are these service suppliers who provide the core product or
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Some of you have already received some: inquiries from data subjects who would like to know what personal data your company has stored
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Two medium-sized French companies have received warning notices from the CNIL (French data protection authority). Both companies affected – Teemo and Fidzup – collect
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The negotiations about the ePrivacy Regulation are postponed by Austrian government during its Presidency of the Council of the European Union. Apparently only little
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ePrivacy’s data protection experts have been discussing the question of the necessity of a data protection impact assessment (DPIA) for classic models of the
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According to Art. 55 GDPR, each supervisory authority is responsible for its own jurisdiction (territory). In addition, however, the lead supervisory authority (the so-called
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At the end of April, the independent data protection authorities of the German federal and state governments (DSK) published a position paper
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On 30 January 2018, a new draft of the European Council for the ePrivacy Regulation was released, containing five options, on which
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The controversial ePrivacy Regulation, which was originally due to come into force in May 2018, will only come in 2019, as reported
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