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Post by juthi52943 on Jan 8, 2024 3:19:44 GMT
To this end, the GDPR recommends that the controller establish deletion or periodic review deadlines. In line with the principle of transparency, controllers should also ensure that individuals are aware of retention periods or the criteria used to calculate them. Controllers storing personal data in traditional form, even if digital versions or copies of these documents have been deleted. Must still have a justification for storing this personal Job Function Email List data offline and respond to requests from data subjects. Depending on the circumstances, controllers may also anonymize data where the identification or identifiability of a natural person is no longer necessary. Data is only effectively anonymous and is therefore no longer personal data when it is no longer possible to identify an individual however, if data can be attributed to an individual by means of additional information. It is only pseudonymized and is therefore still considered personal data. If the process used to purport to anonymize personal data is not sustainable and can be reversed, then the data has not been anonymized. Integrity and confidentiality GDPR. Support is useful Determine the scope of support yourself to ensure your organizations full compliance with GDPR at optimal costs.
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