The Belgian Privacy Commission (the “Belgian DPA”) recently released a Recommendation (here available in Dutch) regarding the requirement to maintain internal records of data processing activities (the “Recommendation”) pursuant to Article 30 of the EU General Data Protection Regulation (“GDPR”).
The Recommendation aims to provide guidance to data controllers and data processors in establishing and maintaining internal records by May 25, 2018. As of that date, the internal records requirement must be complied with, and the Belgian DPA must be able to request that such records are made available to it.
The Belgian Privacy Commission (the “Belgian DPA”) recently released a Recommendation (here available in French) regarding the requirement to maintain internal records of data processing activities (the “Recommendation”) pursuant to Article 30 of the EU General Data Protection Regulation (“GDPR”).
The Recommendation aims to provide guidance to data controllers and data processors in establishing and maintaining internal records by May 25, 2018. As of that date, the internal records requirement must be complied with, and the Belgian DPA must be able to request that such records are made available to it.
The Article 29 Working Party (WP29), at the April plenary meeting, examined certain critical matters with regards to the implementation of the General Data Protection Regulation (GDPR) and of the Privacy Shield and adopted several key documents such as an opinion on the draft e-privacy regulation and guidelines on data portability, data protection officers, lead authority and data protection impact assessment.
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