SlideShare uma empresa Scribd logo
1 de 15
Baixar para ler offline
Imo’s common sense guide to GDPR
How to use this document
This	is	an	accumulation	of	information	from	different	sources	(see	references	at	
end),	and	some	advice	(such	as	the	age	of	consent	for	data	protection	in	Ireland)	
may	change	before	the	GDPR	law	comes	into	effect	in	May	2018.		
	
Of	course	you	should	consult	an	appropriate	professional	such	as	a	lawyer	rather	
than	relying	on	this	document.	This	one’s	been	created	by	someone	who	is	just	a	
small	business	owner	that’s	dealt	with	the	practical	effects	of	data	protection	
regulation	for	25	years	and	has	simply	read	the	publicly	available	material	for	the	
UK	and	Ireland…	but	if	you	don’t	have	time	or	funds,	then	it	might	help!	
What is GDPR?
The	new	EU	general	data	protection	law	coming	into	force	in	May	2018.	It	gives	
more	rights	to	individuals	which	will	mean	charities,	clubs	and	small	businesses	
need	to	review	their	procedures	and	make	some	changes.	However,	it’s	not	
actually	that	big	a	change	compared	to	the	data	protection	you	should	already	
be	performing.	Which	you	probably	aren’t.	
	
GDPR	gives	the	following	rights	to	individuals:	
	
• The	right	to	be	informed	that	data	is	held	on	them.	
• The	right	of	access	to	data	held,	free	of	charge,	without	delay	and	within	one	
month.	
• The	right	to	rectification	of	information	held.	
• The	right	to	erasure	of	information	held	on	them.	
• The	right	to	restrict	processing	of	their	information.	
• The	right	to	data	portability	(ie	to	obtain	their	own	information	and	take	it	
“away”).	
• The	right	to	object	
• Rights	in	relation	to	automated	decision	making	and	profiling.	
	
What sort of thing will GDPR mean in practice?
Some practical examples of why you need to plan this
• If	you	send	out	an	email	to	a	group	of	people,	do	not	put	all	the	email	
addresses	into	the	cc:	field.	Use	the	bcc	(blind	copy)	field	to	enter	in	the	list	of	
emails,	unless	you	can	show	that	all	those	people	have	given	you	explicit	
consent	to	reveal	their	email	addresses	to	all	the	other	people.	
• Data	has	to	be	kept	safe.	Is	yours	backed	up,	encrypted?	Do	you	have	those	
details	listed	somewhere	in	a	data	security	policy	or	procedure?	Is	one	of	
your	backups	held	offsite	in	case	of	fire,	theft	or	flood?	
• Is	there	a	data	privacy	policy	on	your	website?	And	a	cookies	agreement?
• Do	you	have	a	form	for	new	customers	or	users?	It	must	request	explicit	
consent	for	their	data	to	be	held,	explain	what	it’s	held	for,	who	by	and	for	
how	long,	and	who	people	contact	if	they	don’t	agree.	
• Do	you	ever	text	customers	notifications	or	reminders?	You	must	inform	
customers	or	users	that	you	are	going	to	do	this,	and	give	an	opt-out	option	
whenever	you	use	it.	
• If	your	premises	were	broken	into	and	a	computer	stolen	that	holds	personal	
data,	you	would	need	to	inform	the	data	protection	commissioner	within	72	
hours	unless	it	is	anonymized	OR	encrypted.	Do	you	know	what’s	on	each	
computer,	and	whether	it’s	encrypted?	
• If	you	receive	a	request	from	a	data	subject	who	wants	to	get	a	copy	of	all	the	
data	you	hold	on	them	and	then	have	it	deleted,	could	you	do	this	within	30	
days	and	free	of	charge?	How	would	you	be	sure	you’d	found	all	their	data?	
That’s	the	law	from	May.	
• What	do	you	know	about	your	Internet	security?	Do	you	have	a	firewall	and		
malware	protection?	Is	access	to	data	protected	eg	by	passworded	accounts?	
• How	can	you	be	sure	all	your	staff	are	using	strong	computer	passwords?	
• If	you	sell	or	pass	on	an	old	computer	no	longer	in	use,	what	is	your	
procedure	to	ensure	there	is	no	personal	data	accessible	from	that	computer	
in	future?	
• Do	you	use	Paypal	to	receive	payments?	This	company	has	restrictive	data	
policies	as	part	of	its	terms	and	conditions	that	imply	customer	information	
may	be	passed	to	third	parties	in	a	jurisdiction	beyond	the	EU	in	a	way	which	
may	not	comply	with	GDPR.	
Where do you start?
	
The	12	steps	to	be	taken	which	must	be	started	in	May	2018:		
	
• Awareness
	
• Information	you	hold
	
• Communicate	privacy	information	
• Individuals	rights
	
• Subject	Access	Requests
	
• Lawful	basis	for	processing	personal	data
	
• Consent
	
• Children
	
• Data	Breaches
	
• Privacy	by	design	and	Data	Protection	Impact	Assessments	(DPIA)		
• Data	protection	officers
	
• International
1. Awareness
The	law	is	changing	in	May	2018	–	you	need	to	tell	all	key	people	in	your	
organization	and	make	everyone	aware	how	you	plan	to	make	your	organization	
compliant.	
2. Inventory of information you hold
Make	a	list	of	all	the	personal	data	held.	Donors,	staff,	volunteers,	members,	
customers,	users,	suppliers,	marketing	lists,	accident	book,	employment	contracts,	
Garda	vetting,	HR	records?	
	
• Where	did	the	data	come	from?	Make	a	list.	
• Who	do	you	share	it	with?	Make	a	list.	
• Is	it	really	needed?	No?	Delete	it.	
• Is	it	relevant?	If	you’re	a	sports	club	you	may	need	to	know	if	a	member	has	
asthma	but	not	their	PPS	number.	
• Is	it	more	than	two	years	old?	How	do	you	know?	
• How	do	you	know	you	have	permission	to	hold	it?	
• Is	any	of	the	data	sensitive	eg	health-related?	Extra	rules	may	apply.	
[Sensitive	data	means	issues	like	ethnic	background	or	religion	or	criminal	
convictions	or	health.	Non-sensitive	data	means	eg	Name,	address,	PPSN.]	
• Is	any	of	the	date	from	underage	subjects?	How	are	you	verifying	ages	and	
obtaining	consent	from	a	parent	or	guardian	when	necessary?	
• Have	you	informed	them	in	easy,	clear	language	of	the	legal	basis	for	
processing	their	data,	the	data	retention	periods	and	how	to	object?	Eg	it	may	
be	they	have	given	consent	in	past	2	years.	Or	it	could	be	that	you	have	a	
commercial	relationship	such	as	invoicing	where	consent	is	assumed.	
3. Communicating permission and consent – privacy information
So	now	you’ve	probably	realized	a	lot	of	your	data	is	out	of	date,	you	don’t	know	
how	you	got	permission	to	use	it	and	you	can’t	show	that	individuals	consented.	You	
have	to	be	able	to	show	how	consent	was	given.	
	
This	probably	means	you	need	to	re-permission	all	the	people	on	your	texting	
list,	for	example,	before	May	25	2018.	
	
There	are	important	changes	to	consent	with	GDPR.	
	
DP	Directive	(old)	definition:	
“any	freely	given	specific	and	informed	indication	of	his	wishes	by	which	the	data	
subject	signifies	his	agreement	to	personal	data	relating	to	him	being	processed”	
	
GDPR	(new)	definition:	
“any	freely	given,	specific,	informed	and	unambiguous	indication	of	the	data	
subject's	wishes	by	which	he	or	she,	by	a	statement	or	by	a	clear	affirmative	action,	
signifies	agreement	to	the	processing	of	personal	data	relating	to	him	or	her”
In	practice,	how	you	request	consent	(your	forms,	whether	paper	or	online)	now	has	
to	meet	these	points:	
	
• the	name	of	your	organisation	and	the	names	of	any	third	parties	who	will	
rely	on	the	consent	–	consent	for	categories	of	third-party	organisations	will	
not	be	specific	enough;	
• Why	you	want	the	data	(the	purposes	of	the	processing);	
• What	you	will	do	with	the	data	(the	processing	activities);	and	
• Make	the	request	for	consent	prominent	and	separate	from	your	terms	and	
conditions.	
• Explain	why	you	want	the	data	(the	purposes	of	the	processing)	
• Ask	people	to	positively	opt	in	–	don’t	use	pre-ticked	boxes,	or	any	other	type	
of	consent	by	default.	
• If	it’s	for	more	than	one	purpose	offer	more	than	one	opt-in	(granularity).	
• Let	people	know	they	can	withdraw	their	consent	at	any	time	without	
detriment,	and	how.	It	must	also	be	as	easy	to	withdraw	consent	as	it	was	to	
give	it.	
• Don’t	make	consent	a	precondition	of	a	service.	
• Where	children	are	involved,	verify	age	and	get	parental	consent	as	needed.	
Parental	consent	is	necessary	to	the	processing	of	a	child’s	data,	where	the	
child	is	below	the	age	of	16	years	old.	Ireland	may	choose	to	lower	this	age	
but	not	below	13	years	old.		
• Keep	a	dated	record	of	how	you	received	consent	and	what	the	person	was	
told	at	the	time.	
• Clearly	inform	them	of	the	complaints	channel	open	to	anybody	unhappy	
with	how	their	data	has	been	processed.	
• It’s	good	practice	to	let	people	know	how	long	their	data	will	be	held	for.	
WRONG…
Company	A	provides	the	following	information	to	individuals:	
“Email	address	(optional):	
“We	will	use	this	to	send	you	emails	about	our	products	and	special	offers.”	
	
Company	A	keeps	a	spreadsheet	with	‘consent	provided’	against	a	customer’s	name.	
They	keep	the	time	and	date	of	consent	linked	to	an	IP	address,	with	a	web	link	to	
your	current	data-capture	form	and	privacy	policy	
RIGHT…
Company	B	uses	the	following	statement	instead:	
I	consent	to	receive	emails	about	your	products	and	special	offers	 	
If	the	individual	ticks	the	box,	they	will	have	explicitly	consented	to	the	processing.	
They	keep	a	copy	of	the	customer’s	signed	and	dated	form	that	shows	they	ticked	to	
provide	their	consent	to	the	specific	processing.
They	keep	records	that	include	an	ID	and	the	data	submitted	online	together	with	a	
timestamp.	You	also	keep	a	copy	of	the	version	of	the	data-capture	form	and	any	
other	relevant	documents	in	use	at	that	date.	
	
	
Direct marketing
Some	of	this	is	not	new	to	GDPR,	but	as	a	lot	of	people	aren’t	aware…	
https://www.dataprotection.ie/docs/DIRECT_MARKETING_–
%20_A_GENERAL_GUIDE_FOR_DATA_CONTROLLERS/905.htm		
	
Where	you	have	obtained	contact	details	in	the	context	of	the	sale	of	a	product	or	
service,	you	may	only	use	these	details	for	direct	marketing	by	electronic	mail	if	the	
following	conditions	are	met:	
• the	product	or	service	you	are	marketing	is	of	a	kind	similar	to	that	which	
you	sold	to	the	customer	at	the	time	you	obtained	their	contact	details	
• At	the	time	you	collected	the	details,	you	gave	the	customer	the	opportunity	
to	object,	in	an	easy	manner	and	without	charge,	to	their	use	for	marketing	
purposes	
• Each	time	you	send	a	marketing	message,	you	give	the	customer	the	right	to	
object	to	receipt	of	further	messages	
• The	sale	of	the	product	or	service	occurred	not	more	than	twelve	months	
prior	to	the	sending	of	the	electronic	marketing	communication	or,	where	
applicable,	the	contact	details	were	used	for	the	sending	of	an	electronic	
marketing	communication	in	that	twelve	month	period.	
	
NOTE:	In	relation	to	the	last	point	above,	if	the	subscriber	fails	to	unsubscribe	using	
the	cost	free	means	provided	to	them	by	the	direct	marketer,	they	will	be	deemed	to	
have	remained	opted-in	to	the	receipt	of	such	electronic	mail	for	a	twelve	month	
period	from	the	date	of	issue	to	them	of	the	most	recent	marketing	electronic	mail.	
4. Individuals rights include:
• the	right	to	be	informed;	eg	privacy	notice	on	website	
• the	right	of	access;	eg	confirmation	as	to	whether	or	not	personal	data	
concerning	them	is	being	processed,	where	and	for	what	purpose	
• the	right	to	rectification;	eg	if	information	inaccurate	or	complete.	
• the	right	to	be	forgotten;	eg	if	the	data	is	no	longer	relevant	or	consent	
withdrawn.	
• the	right	to	restrict	processing;	eg	hold	data	in	limbo	while	an	issue	is	
resolved	by	moving	it	to	a	separate	system	or	making	it	temporarily	
unavailable.
	
• the	right	to	data	portability;	eg	to	receive	personal	data	concerning	them	
• the	right	to	compensation	&	liability;	eg	damages	for	distress	caused	as	a	
result	of	breach	of	the	GDPR
5. Subject Access and security (timescale one month)
• Who	currently	has	access	to	what	data,	and	under	what	conditions?	How	are	
you	limiting	access?	Lock	and	key,	password?	
• Is	the	existing	data	held	securely?		
• Do	you	share	it	with	anyone	for	any	reason?	
• Is	it	used	only	for	the	purposes	that	it	was	originally	collected	for?	
• Where	is	it	held	(Cloud?	Hard	drive?)	
• Is	it	encrypted?	
• Is	it	backed	up	and	is	there	an	offsite	backup?	
• Who	can	get	access	to	your	internal	computer	network?	What	defences	
against	unauthorized	access	are	in	place?	
	
The	only	changes	here	are	it	needs	to	be	quicker	(30	days)	and	free.	There	must	be	
systems	in	place	to	remove	data,	deal	with	complaints	and	correct	any	errors	that	
arise.	Where	a	request	is	deemed	manifestly	unfounded	or	excessive,	it	can	be	
refused.	However,	organisations	need	to	have	clear	refusal	policies	and	procedures	
in	place,	and	demonstrate	why	the	request	meets	these	criteria.	
	
1. Appoint	a	Co-ordinator	who	will	be	responsible	for	the	response	to	the	
access	request.	A	description	of	the	functions	and	responsibilities	of	the	Co-
ordinator	should	be	circulated	within	the	organisation	and	staff	should	be	
advised	of	the	necessity	for	co-operation	with	the	Co-ordinator.	If	the	
organization	is	a	public	sector	organization	and	subject	to	the	Freedom	of	
Information	Acts,	there	should	be	co-ordination	between	the	FOI	and	DP	
processes.	
2. All	subject	access	matters	should	be	submitted	to	the	Co-ordinator.	
3. Check	the	validity	of	the	access	request.		
4. Check	that	sufficient	material	has	been	supplied	to	definitively	identify	the	
individual.	This	is	most	important.	You	should	set	down	criteria	on	what	is	
sufficient	to	prove	identity	for	your	organisation.	This	may	be	the	signature,	
an	ID	number	in	combination	with	name	and	address	or	date	of	birth.	It	
should	not	be	possible	for	a	third	party	to	provide	the	material	to	lodge	a	
false	access	request.	
5. Check	that	sufficient	information	to	locate	the	data	has	been	supplied.	If	it	is	
not	clear	what	kind	of	data	is	being	requested	you	should	ask	the	data	subject	
for	more	information.	This	could	involve	identifying	the	databases,	locations	
or	files	to	be	searched	or	giving	a	description	of	the	interactions	the	
individual	has	had	with	the	organisation.	
6. Log	the	date	of	receipt	of	the	valid	request.	
7. Keep	note	of	all	steps	taken	to	locate	and	collate	data	–	if	different	divisions	
of	the	organisation	are	involved,	have	the	steps	"signed	off"	by	the	
appropriate	person.	
8. Check	each	item	of	data	to	establish	if	any	of	the	modifications	in	respect	of	
health	or	social	work	data	(section	4(8))	or	any	of	the	restrictions	on	access	
provided	by	section	5	apply.
9. If	data	relating	to	a	third	party	is	involved,	do	not	disclose	without	the	
consent	of	the	third	party	or	anonymise	such	data	if	this	would	conceal	the	
identity	of	the	third	party.	An	opinion	given	by	a	third	party	may	be	disclosed	
unless	it	is	an	opinion	which	was	given	in	confidence	on	the	clear	
understanding	that	it	would	be	treated	as	confidential.	
10. Monitor	process	of	responding	to	the	request	–	observing	time	limit	of	30	
days.	
11. Supply	the	data	in	an	intelligible	form	(include	an	explanation	of	terms	if	
necessary).	Also	provide	description	of	purposes,	disclosees	and	source	of	
data	(unless	revealing	the	source	would	be	contrary	to	the	public	interest).	
Number	the	documents	supplied.	Have	the	response	"signed-off"	by	an	
appropriate	person.	
12. Regularly	review	your	procedures	and	processes.	
6. Lawful basis for processing personal data
Under	GDPR,	consent	is	not	the	only	legal	basis	for	holding	data	though	it	is	the	most	
common.	In	all	cases	holding	the	data	must	be	shown	to	be	necessary.	Other	legal	
bases	include:	
	
• Contract	-	eg	if	a	car	insurer	needed	your	make	and	model	of	car	to	give	a	
quotation.	
• Legal	obligation	-	to	comply	with	common	law	or	statutory	obligation	
• Vital	interests	-	to	protect	a	life	
• Public	task	-	in	the	exercise	of	official	authority	or	for	a	task	in	the	public	
interest	set	uot	in	law	
• Legitimate	interests	-	commercial,	individual	or	broader	societal	interests	
balancing	the	individual's	interests	
• Special	category	data	-	eg	health	
• Criminal	offence	data	-	must	have	a	lawful	basis		
7. 8. And 9. Consent, children and data breaches
The	best	way	to	handle	these	elements	is	by	having	and	implementing	a	data	
protection	privacy	policy.	
Data protection privacy policy
A	Privacy	Policy	documents	an	organisation’s	application	of	the	eight	data	
protection	principles	to	the	manner	in	which	it	processes	data	organisation-wide.	
The	policy	applies	to	all	personal	data	processed	by	the	organisation,	including	
customer	data,	third	party	data	and	employee	data.		
	
Draw	up	policies	and	procedures	to	cover:	
• Dealing	with	data	breaches	
• Requests	for	data	access	(eg	recording	the	date	that	the	request	is	received)	
• Requests	for	data	correction	
• Requests	to	have	information	erased	
• Requests	to	prevent	direct	marketing	contacts
• How	you	decided	you	didn’t	need	to	appoint	a	Data	Protection	Officer	(not	
usually	necessary	but	you	should	specify	who	in	your	organization	handles	
data	protection	queries).	
• Specify	retention	periods	for	different	types	of	data	held.	
• Specify	whether	any	data	is	being	exported	to	third	countries	(example:	use	
of	Paypal	to	receive	payments).	
• Specify	the	period	for	auditing	checks	and	reviews	of	the	policy.	
• Review	any	other	existing	policites	and	procedures	that	may	be	impacted	by	
GDPR	such	as	HR,	Health	and	Safety,	employment	contracts,	fundraising,	
financial	records,	Garda	vetting,	children	and	vulnerable	adults.	
• Consider	the	eight	data	protection	rules	in	the	following	section.	
• Record	how	people	in	your	organization	have	been	made	aware	of	the	data	
protection	policy,	and	of	how	they	may	get	involved	with	reviews	or	changes	
to	the	policies	and	procedures.	
The eight data protection rules (from the previous legislation)
Keep	an	eye	out	for	any	updates	to	these	eight	rules	on	the	GDPR	sites…	
	
Rule	1:	Fair	obtaining:	
At	the	time	when	we	collect	information	about	individuals,	are	they	made	aware	of	
the	uses	for	that	information?	
Are	people	made	aware	of	any	disclosures	of	their	data	to	third	parties?	
Have	we	obtained	people's	consent	for	any	secondary	uses	of	their	personal	data,	
which	might	not	be	obvious	to	them	
Can	we	describe	our	data-collection	practices	as	open,	transparent	and	up-front?	
	
Rule	2:	Purpose	specification	
Are	we	clear	about	the	purpose	(or	purposes)	for	which	we	keep	personal	
information?	
Are	the	individuals	on	our	database	also	clear	about	this	purpose?	
If	we	are	required	to	register	with	the	Data	Protection	Commissioner,	does	our	
register	entry	include	a	proper,	comprehensive	statement	of	our	purpose?	
[Remember,	if	you	are	using	personal	data	for	a	purpose	not	listed	on	your	register	
entry,	you	may	be	committing	an	offence.]	
Has	responsibility	been	assigned	for	maintaining	a	list	of	all	data	sets	and	the	
purpose	associated	with	each?	
	
Rule	3:	Use	and	disclosure	of	information	
Are	there	defined	rules	about	the	use	and	disclosure	of	information?	
Are	all	staff	aware	of	these	rules?	
Are	the	individuals	aware	of	the	uses	and	disclosures	of	their	personal	data?	Would	
they	be	surprised	if	they	learned	about	them?	Consider	whether	the	consent	of	the	
individuals	should	be	obtained	for	these	uses	and	disclosures.	
If	we	are	required	to	register	with	the	Data	Protection	Commissioner,	does	our	
register	entry	include	a	full	list	of	persons	to	whom	we	may	need	to	disclose
personal	data?	[Remember,	if	you	disclose	personal	data	to	someone	not	listed	on	
your	register	entry,	you	may	be	committing	an	offence.]	
	
Rule	4:	Security	
Is	there	a	list	of	security	provisions	in	place	for	each	data	set?	
Is	someone	responsible	for	the	development	and	review	of	these	provisions?	
Are	these	provisions	appropriate	to	the	sensitivity	of	the	personal	data	we	keep?	
Are	our	computers	and	our	databases	password-protected,	and	encrypted	if	
appropriate?	
Are	our	computers,	servers,	and	files	securely	locked	away	from	unauthorised	
people?	
	
Rule	5:	Adequate,	relevant	and	not	excessive	
Do	we	collect	all	the	information	we	need	to	serve	our	purpose	effectively,	and	to	
deal	with	individuals	in	a	fair	and	comprehensive	manner?	
Have	we	checked	to	make	sure	that	all	the	information	we	collect	is	relevant,	and	
not	excessive,	for	our	specified	purpose?	
If	an	individual	asked	us	to	justify	every	piece	of	information	we	hold	about	him	or	
her,	could	we	do	so?	
Does	a	policy	exist	in	this	regard?	
	
Rule	6:	Accurate	and	up-to-date	
Do	we	check	our	data	for	accuracy?	
Do	we	know	how	much	of	our	personal	data	is	time-sensitive,	i.e.	likely	to	become	
inaccurate	over	time	unless	it	is	updated?	
Do	we	take	steps	to	ensure	our	databases	are	kept	up-to-date?	
	
Rule	7:	Retention	time	
Is	there	a	clear	statement	on	how	long	items	of	information	are	to	be	retained?	
Are	we	clear	about	any	legal	requirements	on	us	to	retain	data	for	a	certain	period?	
Do	we	regularly	purge	our	databases	of	data	which	we	no	longer	need,	such	as	data	
relating	to	former	customers	or	staff	members?	
Do	we	have	a	policy	on	deleting	personal	data	as	soon	as	the	purpose	for	which	we	
obtained	the	data	has	been	completed?	
	
Rule	8:	The	Right	of	Access	
Is	a	named	individual	responsible	for	handling	access	requests?	
Are	there	clear	procedures	in	place	for	dealing	with	such	requests?	
Do	these	procedures	guarantee	compliance	with	the	Act's	requirements?	
10. Privacy by design and Data Protection Impact Assessments (DPIA)
At	its	core,	privacy	by	design	calls	for	the	inclusion	of	data	protection	from	the	onset	
of	the	designing	of	systems,	rather	than	an	addition.	Data	protection	safeguards	
must	be	taken	into	account	at	the	planning	stages	when	companies	are	designing	
products	or	services	eg	to	minimize	data	collection.
Under	the	Regulation,	businesses	will	be	obliged	to	conduct	Data	Protection	Impact	
Assessments	(“DPIA”)	where	the	processing,	particularly	where	it	utilises	any	new	
technologies,	“is	likely	to	result	in	a	high	risk”	for	the	rights	of	individuals,	having	
regard	to	the	“nature,	scope,	context	and	purposes	of	the	processing”.			
	
So	DPIA	does	not	apply	to	most	data	operations	unless	you	are	handling	sensitive	
information.	If	you	do	handle	such	information,	get	specialist	advice!	
11. Data protection officers (DPO)
DPO	appointment	will	be	mandatory	only	for	those	controllers	and	processors	
whose	core	activities	consist	of	processing	operations	which	require	regular	and	
systematic	monitoring	of	data	subjects	on	a	large	scale	or	of	special	categories	of	
data	or	data	relating	to	criminal	convictions	and	offences.		
	
Again,	this	will	not	apply	to	most	data	operations	but	a	named	person	within	the	
organization	responsible	for	data	protection	is	normal.	
12 International
GDPR	applies	to	non-EU	bodies	that	offer	goods	or	services	to	EU	citizens.	Non-EU	
businesses	processing	the	data	of	EU	citizens	will	also	have	to	appoint	a	
representative	in	the	EU.	If	you	are	dealing	with	a	complex	international	situation,	
you	need	to	get	professional,	specialist	advice.	
Checklist
• Inventory	your	data	
• Record	who	has	access	(online	and	paper)	to	the	data	
• Check	your	data	security	–	backups,	online,	network	
• Figure	out	who	you	need	to	“repermission”	regarding	their	data	by	May	2018	
• Do	you	need	to	appoint	a	data	protection	officer?	(Probably	not.)	
• Who	is	going	to	be	responsible	for	data	protection	in	the	organization?	
• Revise	direct	marketing	procedures	
• Revise	website	privacy	and	cookies	policy	
• Revise	your	data	protection	procedures,	including	subject	data	access	
requests	
• Make	everyone	in	the	organization	aware	of	the	changes	and	how	they	can	
contribute	
• Keep	checking	for	any	changes	coming	up	to	May	2018	such	as	age	for	
parental	consent	where	children	are	involved.	
• Think	about	data	protection	implications	in	future	when	creating	new	
products,	services	or	internal	procedures.	
Examples
Website privacy policy example
https://fortprivacy.ie/gdpr-privacynotices/		
Article	13	requires	that	the	privacy	notice	should	include	the	following	information:
• the	identity	and	the	contact	details	of	the	controller	
• the	contact	details	of	the	data	protection	officer	
• the	purposes	and	legal	basis	for	the	processing	
• where	the	processing	is	based	on	legitimate	interests,	details	of	what	these	
are	
• the	recipients	or	categories	of	recipients	of	the	personal	data	
• details	of	any	transfer	to	a	third	country	and	details	of	the	safeguards	and	the	
means	by	which	to	obtain	a	copy	of	them	or	where	they	have	been	made	
available	
• the	retention	periods	or	the	criteria	used	to	determine	that	period	
• details	on	rights	of	access	to	and	rectification/deletion	of	personal	data.	
Rights	to	object	to	processing	and	the	right	to	data	portability	
• if	processing	is	based	on	consent,	the	right	to	withdraw	consent	
• the	right	to	lodge	a	complaint	with	the	supervisory	authority	
• details	on	whether	the	data	subject	is	obliged	to	provide	the	personal	data	
and	the	consequences	of	failure	to	provide	it	
• details	of	any	automated	decision	making,	including	details	of	the	logic	used	
and	potential	consequences	for	the	individual	
Website privacy policy and cookies template
https://www.nibusinessinfo.co.uk/content/sample-privacy-policy	
	
This	privacy	policy	sets	out	how	[business	name]	uses	and	protects	any	information	
that	you	give	[business	name]	when	you	use	this	website.	
	
[business	name]	is	committed	to	ensuring	that	your	privacy	is	protected.	Should	we	
ask	you	to	provide	certain	information	by	which	you	can	be	identified	when	using	
this	website,	then	you	can	be	assured	that	it	will	only	be	used	in	accordance	with	
this	privacy	statement.	
	
[business	name]	may	change	this	policy	from	time	to	time	by	updating	this	page.	
You	should	check	this	page	from	time	to	time	to	ensure	that	you	are	happy	with	any	
changes.	This	policy	is	effective	from	[date].	
	
What	we	collect	
We	may	collect	the	following	information:	
	
name	and	job	title	
contact	information	including	email	address	
demographic	information	such	as	postcode,	preferences	and	interests	
other	information	relevant	to	customer	surveys	and/or	offers	
What	we	do	with	the	information	we	gather	
We	require	this	information	to	understand	your	needs	and	provide	you	with	a	
better	service,	and	in	particular	for	the	following	reasons:
Internal	record	keeping.	
We	may	use	the	information	to	improve	our	products	and	services.	
We	may	periodically	send	promotional	emails	about	new	products,	special	offers	or	
other	information	which	we	think	you	may	find	interesting	using	the	email	address	
which	you	have	provided.	
From	time	to	time,	we	may	also	use	your	information	to	contact	you	for	market	
research	purposes.	We	may	contact	you	by	email,	phone,	fax	or	mail.	We	may	use	
the	information	to	customise	the	website	according	to	your	interests.	
Security	
We	are	committed	to	ensuring	that	your	information	is	secure.	In	order	to	prevent	
unauthorised	access	or	disclosure,	we	have	put	in	place	suitable	physical,	electronic	
and	managerial	procedures	to	safeguard	and	secure	the	information	we	collect	
online.	
	
How	we	use	cookies	
A	cookie	is	a	small	file	which	asks	permission	to	be	placed	on	your	computer's	hard	
drive.	Once	you	agree,	the	file	is	added	and	the	cookie	helps	analyse	web	traffic	or	
lets	you	know	when	you	visit	a	particular	site.	Cookies	allow	web	applications	to	
respond	to	you	as	an	individual.	The	web	application	can	tailor	its	operations	to	
your	needs,	likes	and	dislikes	by	gathering	and	remembering	information	about	
your	preferences.	
	
We	use	traffic	log	cookies	to	identify	which	pages	are	being	used.	This	helps	us	
analyse	data	about	webpage	traffic	and	improve	our	website	in	order	to	tailor	it	to	
customer	needs.	We	only	use	this	information	for	statistical	analysis	purposes	and	
then	the	data	is	removed	from	the	system.	
	
Overall,	cookies	help	us	provide	you	with	a	better	website	by	enabling	us	to	monitor	
which	pages	you	find	useful	and	which	you	do	not.	A	cookie	in	no	way	gives	us	
access	to	your	computer	or	any	information	about	you,	other	than	the	data	you	
choose	to	share	with	us.	
	
You	can	choose	to	accept	or	decline	cookies.	Most	web	browsers	automatically	
accept	cookies,	but	you	can	usually	modify	your	browser	setting	to	decline	cookies	if	
you	prefer.	This	may	prevent	you	from	taking	full	advantage	of	the	website.	
	
Links	to	other	websites	
Our	website	may	contain	links	to	other	websites	of	interest.	However,	once	you	have	
used	these	links	to	leave	our	site,	you	should	note	that	we	do	not	have	any	control	
over	that	other	website.	Therefore,	we	cannot	be	responsible	for	the	protection	and	
privacy	of	any	information	which	you	provide	whilst	visiting	such	sites	and	such	
sites	are	not	governed	by	this	privacy	statement.	You	should	exercise	caution	and	
look	at	the	privacy	statement	applicable	to	the	website	in	question.	
	
Controlling	your	personal	information
You	may	choose	to	restrict	the	collection	or	use	of	your	personal	information	in	the	
following	ways:	
	
whenever	you	are	asked	to	fill	in	a	form	on	the	website,	look	for	the	box	that	you	can	
click	to	indicate	that	you	do	not	want	the	information	to	be	used	by	anybody	for	
direct	marketing	purposes	
if	you	have	previously	agreed	to	us	using	your	personal	information	for	direct	
marketing	purposes,	you	may	change	your	mind	at	any	time	by	writing	to	or	
emailing	us	at	[email	address]	
We	will	not	sell,	distribute	or	lease	your	personal	information	to	third	parties	unless	
we	have	your	permission	or	are	required	by	law	to	do	so.	We	may	use	your	personal	
information	to	send	you	promotional	information	about	third	parties	which	we	
think	you	may	find	interesting	if	you	tell	us	that	you	wish	this	to	happen.	
	
You	may	request	details	of	personal	information	which	we	hold	about	you	under	the	
(insert	name	of	GDPR	law	enacted	in	Ireland	May	2018].	If	you	would	like	a	copy	of	
the	information	held	on	you	please	contact	[address].	
	
If	you	believe	that	any	information	we	are	holding	on	you	is	incorrect	or	incomplete,	
please	write	to	or	email	us	as	soon	as	possible	at	the	above	address.	We	will	
promptly	correct	any	information	found	to	be	incorrect.	
	
Another	example	to	adapt	
https://www.lawsociety.ie/About-this-Website/Privacy-Policy/		
	
Privacy	Policy	
This	statement	relates	to	our	privacy	practices	in	connection	with	this	website.	
We	are	not	responsible	for	the	content	or	privacy	practices	of	other	websites.	Any	
external	links	to	other	websites	are	clearly	identifiable	as	such.	Some	technical	
terms	used	in	this	statement	are	explained	at	the	end	of	this	page.	
	
General	statement	
The	Law	Society	of	Ireland	fully	respects	your	right	to	privacy,	and	will	not	collect	or	
publish	any	personal	information	about	you	through	this	website	without	your	clear	
permission.	Any	personal	information	which	you	volunteer	to	the	Society	will	be	
treated	with	the	highest	standards	of	security	and	confidentiality,	strictly	in	
accordance	with	the	Data	Protection	Acts,	1988	-	2003.	
	
Collection	and	use	of	personal	information	
The	Law	Society	of	Ireland	does	not	collect	any	personal	data	about	you	on	this	
website,	apart	from	information	which	you	volunteer	(for	example	by	e-mailing	us,	
by	using	our	online	feedback	form	or	by	making	a	credit	card	booking).	Any	
information	which	you	provide	in	this	way	is	not	made	available	to	any	third	parties,	
and	is	used	by	the	Law	Society	only	in	line	with	the	purpose	for	which	you	provided	
it.
Collection	and	use	of	technical	information	
This	website	uses	temporary	"session"	cookies	which	enable	a	visitor’s	web	browser	
to	remember	which	pages	on	this	website	have	already	been	visited.	If	you	use	the	
'Remember	me'	option	when	logging	in	to	the	Law	Society	website,	a	cookie	is	
placed	on	your	computer	with	an	encrypted	id	to	remember	your	credentials.	No	
other	information	is	stored	in	this	cookie.	Visitors	can	use	this	website	with	no	loss	
of	functionality	if	cookies	are	disabled	from	the	web	browser.	Technical	details	in	
connection	with	visits	to	this	website	are	logged	by	our	internet	service	provider	for	
our	statistical	purposes.	No	information	is	collected	that	could	be	used	by	us	to	
personally	identify	website	visitors.	The	technical	details	logged	are	confined	to	the	
following	items:	
	
the	IP	address	of	the	visitor’s	web	server	
the	top-level	domain	name	used	(for	example	.ie,	.com,	.org,	.net)	
the	previous	website	address	from	which	the	visitor	reached	us,	including	any	
search	terms	used	
Google	analytics	which	shows	the	traffic	of	visitors	around	this	web	site	(for	
example	pages	accessed	and	documents	downloaded)	
the	type	of	web	browser	and	operating	system	used	by	the	website	visitor.	
The	Law	Society	of	Ireland	will	make	no	attempt	to	identify	individual	visitors,	or	to	
associate	the	technical	details	listed	above	with	any	individual.	It	is	the	policy	of	the	
Law	Society	never	to	disclose	such	technical	information	in	respect	of	individual	
website	visitors	to	any	third	party	(apart	from	our	internet	service	provider,	which	
records	such	data	on	our	behalf	and	which	is	bound	by	confidentiality	provisions	in	
this	regard),	unless	obliged	to	disclose	such	information	by	law.	The	technical	
information	will	be	used	only	by	the	Law	Society	of	Ireland,	and	only	for	statistical	
and	other	administrative	purposes.	You	should	note	that	technical	details,	which	we	
cannot	associate	with	any	identifiable	individual,	do	not	constitute	"personal	data"	
for	the	purposes	of	the	Data	Protection	Acts,	1988	–	2003.	
	
Complaints	about	data	processed	via	the	website	
If	you	are	concerned	about	how	personal	data	is	processed	via	this	website,	please	
do	not	hesitate	to	bring	such	concerns	to	the	Law	Society	by	contacting	us	using	the	
appropriate	details	on	our	Contact	Us	page.	
	
Third	Party	Websites	
This	privacy	policy	does	not	address,	and	we	are	not	responsible	for,	the	privacy,	
information	or	other	practices	of	any	third	parties,	including	any	third	party	
operating	any	website	to	which	this	website	contains	a	link.	The	inclusion	of	a	link	
on	the	website	does	not	imply	endorsement	of	the	linked	website	by	us.	
	
Additionally,	we	may	provide	you	with	access	to	third-party	functionality	that	
permits	you	to	post	content	to	your	social	media	account(s).	Please	note	that	any	
information	that	you	provide	through	use	of	this	functionality	is	governed	by	the	
applicable	third	party’s	privacy	policy,	and	not	by	this	privacy	policy,	and	we	do	not
accept	any	responsibility	or	liability	for	these	policies.	Please	check	these	policies	
before	you	submit	any	personal	data	to	these	websites.	
	
Glossary	of	technical	terms	used	
Web	browser:	The	piece	of	software	you	use	to	read	web	pages.	Examples	are	
Google	Chrome,	Microsoft	Internet	Explorer,	Firefox,	Safari	and	Opera.	
	
IP	address:	The	identifying	details	for	your	computer,	or	your	internet	company’s	
computer,	expressed	in	"internet	protocol"	code	(for	example	192.168.72.34).	Every	
computer	connected	to	the	web	has	a	unique	IP	address,	although	the	address	may	
not	be	the	same	every	time	a	connection	is	made.	
	
Cookies:	Small	pieces	of	information,	stored	in	simple	text	files,	placed	on	your	
computer	by	a	web	site.	Cookies	can	be	read	by	the	web	site	on	your	subsequent	
visits.	The	information	stored	in	a	cookie	may	relate	to	your	browsing	habits	on	the	
web	page,	or	a	unique	identification	number	so	that	the	web	site	can	"remember"	
you	on	your	return	visit.	Generally	speaking,	cookies	do	not	contain	personal	
information	from	which	you	can	be	identified,	unless	you	have	furnished	such	
information	to	the	web	site.	
	
References
GDPR	-	http://gdprandyou.ie/gdpr-12-steps/#becoming-aware	
https://www.dataprotection.ie/docs/GDPR/1623.htm		
https://www.nibusinessinfo.co.uk/content/sample-privacy-policy		
https://www.charitiesinstituteireland.ie/our-blog/2016/12/6/general-data-
protection-regulation		
https://www.dataprotection.ie/documents/guidance/Charity_Guidance.pdf	
http://www.charitytaxreform.com/files/R2.%20Guiding%20Principles%20of%20F
undraisin	g%20-%20Feb%202008.pdf	
https://www.dataprotection.ie/docs/DIRECT_MARKETING_–
%20_A_GENERAL_GUIDE_FOR_DATA_CONTROLLERS/905.htm	
https://www.krestonreeves.com/news-and-events/30/11/2017/general-data-
protection-regulation-gdpr	
https://fortprivacy.ie/gdpr-privacynotices/		
https://www.dataprotection.ie/documents/guidance/Charity_Guidance.pdf		
http://gdprcoalition.ie/infographics/	
https://ico.org.uk/for-organisations/guide-to-the-general-data-protection-
regulation-gdpr/	
	http://www.dataprotectionschools.ie

Mais conteúdo relacionado

Mais procurados

GDPR most actionable cheatsheet and checklist by cyberstratg
GDPR most actionable cheatsheet and checklist by cyberstratgGDPR most actionable cheatsheet and checklist by cyberstratg
GDPR most actionable cheatsheet and checklist by cyberstratgCyber StratG
 
Getting to grips with General Data Protection Regulation (GDPR)
Getting to grips with General Data Protection Regulation (GDPR)Getting to grips with General Data Protection Regulation (GDPR)
Getting to grips with General Data Protection Regulation (GDPR)Zoodikers
 
GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...
GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...
GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...ObservePoint
 
GDPR: the legal aspects. By Matthias of theJurists Europe.
GDPR: the legal aspects. By Matthias of theJurists Europe.GDPR: the legal aspects. By Matthias of theJurists Europe.
GDPR: the legal aspects. By Matthias of theJurists Europe.Matthias Dobbelaere-Welvaert
 
GDPR Explained - A Quick Guide for US Businesses
GDPR Explained - A Quick Guide for US BusinessesGDPR Explained - A Quick Guide for US Businesses
GDPR Explained - A Quick Guide for US BusinessesJessica Clark
 
General Data Protection Regulation (GDPR) - Moving from confusion to readiness
General Data Protection Regulation (GDPR) - Moving from confusion to readinessGeneral Data Protection Regulation (GDPR) - Moving from confusion to readiness
General Data Protection Regulation (GDPR) - Moving from confusion to readinessOmo Osagiede
 
Data Privacy and Data Protection: Rotary’s Compliance with GDPR
Data Privacy and Data Protection: Rotary’s Compliance with GDPRData Privacy and Data Protection: Rotary’s Compliance with GDPR
Data Privacy and Data Protection: Rotary’s Compliance with GDPRRotary International
 
GDPR- Get the facts and prepare your business
GDPR- Get the facts and prepare your businessGDPR- Get the facts and prepare your business
GDPR- Get the facts and prepare your businessMark Baker
 
GDPR: Is Your Organization Ready for the General Data Protection Regulation?
GDPR: Is Your Organization Ready for the General Data Protection Regulation?GDPR: Is Your Organization Ready for the General Data Protection Regulation?
GDPR: Is Your Organization Ready for the General Data Protection Regulation?DATUM LLC
 
GDPR Guide: The ICO's 12 Recommended Steps To Take Now
GDPR Guide: The ICO's 12 Recommended Steps To Take NowGDPR Guide: The ICO's 12 Recommended Steps To Take Now
GDPR Guide: The ICO's 12 Recommended Steps To Take NowHackerOne
 
What's Next - General Data Protection Regulation (GDPR) Changes
What's Next - General Data Protection Regulation (GDPR) ChangesWhat's Next - General Data Protection Regulation (GDPR) Changes
What's Next - General Data Protection Regulation (GDPR) ChangesOgilvy Consulting
 
Quick Introduction to the EU GDPR by Sami Zahran
Quick Introduction to the EU GDPR by Sami ZahranQuick Introduction to the EU GDPR by Sami Zahran
Quick Introduction to the EU GDPR by Sami ZahranDr. Sami Zahran
 
Do You Have a Roadmap for EU GDPR Compliance?
Do You Have a Roadmap for EU GDPR Compliance?Do You Have a Roadmap for EU GDPR Compliance?
Do You Have a Roadmap for EU GDPR Compliance?Ulf Mattsson
 
Cognizant business consulting the impacts of gdpr
Cognizant business consulting   the impacts of gdprCognizant business consulting   the impacts of gdpr
Cognizant business consulting the impacts of gdpraudrey miguel
 
A Brave New World Of Data Protection. Ready? Counting down to GDPR.
A Brave New World Of Data Protection. Ready? Counting down to GDPR. A Brave New World Of Data Protection. Ready? Counting down to GDPR.
A Brave New World Of Data Protection. Ready? Counting down to GDPR. dan hyde
 
Data Protection Officer Dashboard | GDPR
Data Protection Officer Dashboard | GDPRData Protection Officer Dashboard | GDPR
Data Protection Officer Dashboard | GDPRCorporater
 
Disclosure, Exposure and the "Right to be Forgotten" After Google Spain
Disclosure, Exposure and the "Right to be Forgotten" After Google SpainDisclosure, Exposure and the "Right to be Forgotten" After Google Spain
Disclosure, Exposure and the "Right to be Forgotten" After Google SpainDavid Erdos
 

Mais procurados (19)

GDPR most actionable cheatsheet and checklist by cyberstratg
GDPR most actionable cheatsheet and checklist by cyberstratgGDPR most actionable cheatsheet and checklist by cyberstratg
GDPR most actionable cheatsheet and checklist by cyberstratg
 
Getting to grips with General Data Protection Regulation (GDPR)
Getting to grips with General Data Protection Regulation (GDPR)Getting to grips with General Data Protection Regulation (GDPR)
Getting to grips with General Data Protection Regulation (GDPR)
 
GDPR Readiness
GDPR ReadinessGDPR Readiness
GDPR Readiness
 
GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...
GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...
GDPR ASAP: A Seven-Step Guide to Prepare for the General Data Protection Regu...
 
GDPR: the legal aspects. By Matthias of theJurists Europe.
GDPR: the legal aspects. By Matthias of theJurists Europe.GDPR: the legal aspects. By Matthias of theJurists Europe.
GDPR: the legal aspects. By Matthias of theJurists Europe.
 
GDPR Explained - A Quick Guide for US Businesses
GDPR Explained - A Quick Guide for US BusinessesGDPR Explained - A Quick Guide for US Businesses
GDPR Explained - A Quick Guide for US Businesses
 
General Data Protection Regulation (GDPR) - Moving from confusion to readiness
General Data Protection Regulation (GDPR) - Moving from confusion to readinessGeneral Data Protection Regulation (GDPR) - Moving from confusion to readiness
General Data Protection Regulation (GDPR) - Moving from confusion to readiness
 
Data Privacy and Data Protection: Rotary’s Compliance with GDPR
Data Privacy and Data Protection: Rotary’s Compliance with GDPRData Privacy and Data Protection: Rotary’s Compliance with GDPR
Data Privacy and Data Protection: Rotary’s Compliance with GDPR
 
Privacy Year In Preview
Privacy Year In PreviewPrivacy Year In Preview
Privacy Year In Preview
 
GDPR- Get the facts and prepare your business
GDPR- Get the facts and prepare your businessGDPR- Get the facts and prepare your business
GDPR- Get the facts and prepare your business
 
GDPR: Is Your Organization Ready for the General Data Protection Regulation?
GDPR: Is Your Organization Ready for the General Data Protection Regulation?GDPR: Is Your Organization Ready for the General Data Protection Regulation?
GDPR: Is Your Organization Ready for the General Data Protection Regulation?
 
GDPR Guide: The ICO's 12 Recommended Steps To Take Now
GDPR Guide: The ICO's 12 Recommended Steps To Take NowGDPR Guide: The ICO's 12 Recommended Steps To Take Now
GDPR Guide: The ICO's 12 Recommended Steps To Take Now
 
What's Next - General Data Protection Regulation (GDPR) Changes
What's Next - General Data Protection Regulation (GDPR) ChangesWhat's Next - General Data Protection Regulation (GDPR) Changes
What's Next - General Data Protection Regulation (GDPR) Changes
 
Quick Introduction to the EU GDPR by Sami Zahran
Quick Introduction to the EU GDPR by Sami ZahranQuick Introduction to the EU GDPR by Sami Zahran
Quick Introduction to the EU GDPR by Sami Zahran
 
Do You Have a Roadmap for EU GDPR Compliance?
Do You Have a Roadmap for EU GDPR Compliance?Do You Have a Roadmap for EU GDPR Compliance?
Do You Have a Roadmap for EU GDPR Compliance?
 
Cognizant business consulting the impacts of gdpr
Cognizant business consulting   the impacts of gdprCognizant business consulting   the impacts of gdpr
Cognizant business consulting the impacts of gdpr
 
A Brave New World Of Data Protection. Ready? Counting down to GDPR.
A Brave New World Of Data Protection. Ready? Counting down to GDPR. A Brave New World Of Data Protection. Ready? Counting down to GDPR.
A Brave New World Of Data Protection. Ready? Counting down to GDPR.
 
Data Protection Officer Dashboard | GDPR
Data Protection Officer Dashboard | GDPRData Protection Officer Dashboard | GDPR
Data Protection Officer Dashboard | GDPR
 
Disclosure, Exposure and the "Right to be Forgotten" After Google Spain
Disclosure, Exposure and the "Right to be Forgotten" After Google SpainDisclosure, Exposure and the "Right to be Forgotten" After Google Spain
Disclosure, Exposure and the "Right to be Forgotten" After Google Spain
 

Semelhante a Gdpr the imo guide draft 2

General Data Protection Regulation
General Data Protection RegulationGeneral Data Protection Regulation
General Data Protection Regulationndcmanagement
 
Rollits Education Focus Summer 2017
Rollits Education Focus Summer 2017Rollits Education Focus Summer 2017
Rollits Education Focus Summer 2017Pat Coyle
 
The Essential Guide to GDPR
The Essential Guide to GDPRThe Essential Guide to GDPR
The Essential Guide to GDPRTim Hyman LLB
 
The Essential Guide to GDPR
The Essential Guide to GDPRThe Essential Guide to GDPR
The Essential Guide to GDPRTim Hyman LLB
 
General Data Protection Regulation
General Data Protection RegulationGeneral Data Protection Regulation
General Data Protection RegulationPete S
 
Marketing data management | The new way to think about your data
Marketing data management | The new way to think about your dataMarketing data management | The new way to think about your data
Marketing data management | The new way to think about your dataLaurence
 
GDPRIBMWhitePaper
GDPRIBMWhitePaperGDPRIBMWhitePaper
GDPRIBMWhitePaperJim Wilson
 
Horner Downey & Co Newsletter- GDPR
Horner Downey & Co Newsletter- GDPRHorner Downey & Co Newsletter- GDPR
Horner Downey & Co Newsletter- GDPRJenny Ferguson
 
"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018
"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018
"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018TRA - Tax Representative Alliance
 
GDPR A Practical Guide with Varonis
GDPR A Practical Guide with VaronisGDPR A Practical Guide with Varonis
GDPR A Practical Guide with VaronisAngad Dayal
 
GDPR Training Course - Training Express
GDPR Training Course - Training ExpressGDPR Training Course - Training Express
GDPR Training Course - Training ExpressTraining Express
 
The Countdown to the GDPR Regulations
The Countdown to the GDPR RegulationsThe Countdown to the GDPR Regulations
The Countdown to the GDPR RegulationsElliot Reeman
 
Beginning your GDPR journey
Beginning your GDPR journeyBeginning your GDPR journey
Beginning your GDPR journeyMiguel Mello
 
GDPR - Are you ready?
GDPR - Are you ready?GDPR - Are you ready?
GDPR - Are you ready?VILT
 
GDPR, what you need to know and how to prepare for it e book
GDPR, what you need to know and how to prepare for it e bookGDPR, what you need to know and how to prepare for it e book
GDPR, what you need to know and how to prepare for it e bookPlr-Printables
 
What does GDPR laws mean for Australian businesses
What does GDPR laws mean for Australian businessesWhat does GDPR laws mean for Australian businesses
What does GDPR laws mean for Australian businessesiFactory Digital
 

Semelhante a Gdpr the imo guide draft 2 (20)

General Data Protection Regulation
General Data Protection RegulationGeneral Data Protection Regulation
General Data Protection Regulation
 
Rollits Education Focus Summer 2017
Rollits Education Focus Summer 2017Rollits Education Focus Summer 2017
Rollits Education Focus Summer 2017
 
The Essential Guide to GDPR
The Essential Guide to GDPRThe Essential Guide to GDPR
The Essential Guide to GDPR
 
The Essential Guide to GDPR
The Essential Guide to GDPRThe Essential Guide to GDPR
The Essential Guide to GDPR
 
General Data Protection Regulation
General Data Protection RegulationGeneral Data Protection Regulation
General Data Protection Regulation
 
Marketing data management | The new way to think about your data
Marketing data management | The new way to think about your dataMarketing data management | The new way to think about your data
Marketing data management | The new way to think about your data
 
GDPR Preparing for-the-gdpr-12-steps
GDPR Preparing for-the-gdpr-12-stepsGDPR Preparing for-the-gdpr-12-steps
GDPR Preparing for-the-gdpr-12-steps
 
GDPRIBMWhitePaper
GDPRIBMWhitePaperGDPRIBMWhitePaper
GDPRIBMWhitePaper
 
Horner Downey & Co Newsletter- GDPR
Horner Downey & Co Newsletter- GDPRHorner Downey & Co Newsletter- GDPR
Horner Downey & Co Newsletter- GDPR
 
GDPR Overview
GDPR OverviewGDPR Overview
GDPR Overview
 
Gdpr zilla
Gdpr zillaGdpr zilla
Gdpr zilla
 
Swift guide to GDPR
Swift guide to GDPRSwift guide to GDPR
Swift guide to GDPR
 
"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018
"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018
"The EU General Data Protection Regulation: GDPR" - TRA Annual Meeting 2018
 
GDPR A Practical Guide with Varonis
GDPR A Practical Guide with VaronisGDPR A Practical Guide with Varonis
GDPR A Practical Guide with Varonis
 
GDPR Training Course - Training Express
GDPR Training Course - Training ExpressGDPR Training Course - Training Express
GDPR Training Course - Training Express
 
The Countdown to the GDPR Regulations
The Countdown to the GDPR RegulationsThe Countdown to the GDPR Regulations
The Countdown to the GDPR Regulations
 
Beginning your GDPR journey
Beginning your GDPR journeyBeginning your GDPR journey
Beginning your GDPR journey
 
GDPR - Are you ready?
GDPR - Are you ready?GDPR - Are you ready?
GDPR - Are you ready?
 
GDPR, what you need to know and how to prepare for it e book
GDPR, what you need to know and how to prepare for it e bookGDPR, what you need to know and how to prepare for it e book
GDPR, what you need to know and how to prepare for it e book
 
What does GDPR laws mean for Australian businesses
What does GDPR laws mean for Australian businessesWhat does GDPR laws mean for Australian businesses
What does GDPR laws mean for Australian businesses
 

Mais de Imogen Bertin

2018 Belgooly Show flyer
2018 Belgooly Show flyer2018 Belgooly Show flyer
2018 Belgooly Show flyerImogen Bertin
 
Belgooly Show Schedule 2018
Belgooly Show Schedule 2018Belgooly Show Schedule 2018
Belgooly Show Schedule 2018Imogen Bertin
 
Domestic Entry Form 2018
Domestic Entry Form 2018Domestic Entry Form 2018
Domestic Entry Form 2018Imogen Bertin
 
Belgooly Fun Dog Show 2018
Belgooly Fun Dog Show 2018Belgooly Fun Dog Show 2018
Belgooly Fun Dog Show 2018Imogen Bertin
 
Imo's common sense guide to GDPR
Imo's common sense guide to GDPRImo's common sense guide to GDPR
Imo's common sense guide to GDPRImogen Bertin
 
Belgoolyshowflyer2017
Belgoolyshowflyer2017Belgoolyshowflyer2017
Belgoolyshowflyer2017Imogen Bertin
 
Horse and pony entry form
Horse and pony entry formHorse and pony entry form
Horse and pony entry formImogen Bertin
 
Belgooly Show Cattle Entry Form 2017
Belgooly Show Cattle Entry Form 2017Belgooly Show Cattle Entry Form 2017
Belgooly Show Cattle Entry Form 2017Imogen Bertin
 
Belgooly Show Fun Dog Show 2017
Belgooly Show Fun Dog Show 2017Belgooly Show Fun Dog Show 2017
Belgooly Show Fun Dog Show 2017Imogen Bertin
 
Belgooly Show Domestic Entry Form 2017
Belgooly Show Domestic Entry Form 2017Belgooly Show Domestic Entry Form 2017
Belgooly Show Domestic Entry Form 2017Imogen Bertin
 
Belgooly Show Schedule 2017
Belgooly Show Schedule 2017Belgooly Show Schedule 2017
Belgooly Show Schedule 2017Imogen Bertin
 
Belgooly Show 2016 Flyer
Belgooly Show 2016 FlyerBelgooly Show 2016 Flyer
Belgooly Show 2016 FlyerImogen Bertin
 
Fun dog show Belgooly
Fun dog show BelgoolyFun dog show Belgooly
Fun dog show BelgoolyImogen Bertin
 
Belgooly Show Schedule 2016
Belgooly Show Schedule 2016Belgooly Show Schedule 2016
Belgooly Show Schedule 2016Imogen Bertin
 
Belgooly Show Domestic entry form 2016
Belgooly Show Domestic entry form 2016Belgooly Show Domestic entry form 2016
Belgooly Show Domestic entry form 2016Imogen Bertin
 
Belgooly show flyer 2015
Belgooly show flyer 2015Belgooly show flyer 2015
Belgooly show flyer 2015Imogen Bertin
 
Dometic schedule 2015
Dometic schedule 2015Dometic schedule 2015
Dometic schedule 2015Imogen Bertin
 
Belgooly show 2014 flyer
Belgooly show 2014 flyerBelgooly show 2014 flyer
Belgooly show 2014 flyerImogen Bertin
 
Belgooly Show Animal entry forms
Belgooly Show Animal entry formsBelgooly Show Animal entry forms
Belgooly Show Animal entry formsImogen Bertin
 

Mais de Imogen Bertin (20)

2018 Belgooly Show flyer
2018 Belgooly Show flyer2018 Belgooly Show flyer
2018 Belgooly Show flyer
 
Belgooly Show Schedule 2018
Belgooly Show Schedule 2018Belgooly Show Schedule 2018
Belgooly Show Schedule 2018
 
Domestic Entry Form 2018
Domestic Entry Form 2018Domestic Entry Form 2018
Domestic Entry Form 2018
 
Belgooly Fun Dog Show 2018
Belgooly Fun Dog Show 2018Belgooly Fun Dog Show 2018
Belgooly Fun Dog Show 2018
 
Imo's common sense guide to GDPR
Imo's common sense guide to GDPRImo's common sense guide to GDPR
Imo's common sense guide to GDPR
 
Belgoolyshowflyer2017
Belgoolyshowflyer2017Belgoolyshowflyer2017
Belgoolyshowflyer2017
 
Horse and pony entry form
Horse and pony entry formHorse and pony entry form
Horse and pony entry form
 
Belgooly Show Cattle Entry Form 2017
Belgooly Show Cattle Entry Form 2017Belgooly Show Cattle Entry Form 2017
Belgooly Show Cattle Entry Form 2017
 
Belgooly Show Fun Dog Show 2017
Belgooly Show Fun Dog Show 2017Belgooly Show Fun Dog Show 2017
Belgooly Show Fun Dog Show 2017
 
Belgooly Show Domestic Entry Form 2017
Belgooly Show Domestic Entry Form 2017Belgooly Show Domestic Entry Form 2017
Belgooly Show Domestic Entry Form 2017
 
Belgooly Show Schedule 2017
Belgooly Show Schedule 2017Belgooly Show Schedule 2017
Belgooly Show Schedule 2017
 
Belgooly Show 2016 Flyer
Belgooly Show 2016 FlyerBelgooly Show 2016 Flyer
Belgooly Show 2016 Flyer
 
Fun dog show Belgooly
Fun dog show BelgoolyFun dog show Belgooly
Fun dog show Belgooly
 
Belgooly Show Schedule 2016
Belgooly Show Schedule 2016Belgooly Show Schedule 2016
Belgooly Show Schedule 2016
 
Belgooly Show Domestic entry form 2016
Belgooly Show Domestic entry form 2016Belgooly Show Domestic entry form 2016
Belgooly Show Domestic entry form 2016
 
Belgooly show flyer 2015
Belgooly show flyer 2015Belgooly show flyer 2015
Belgooly show flyer 2015
 
Show schedule 2015
Show schedule 2015Show schedule 2015
Show schedule 2015
 
Dometic schedule 2015
Dometic schedule 2015Dometic schedule 2015
Dometic schedule 2015
 
Belgooly show 2014 flyer
Belgooly show 2014 flyerBelgooly show 2014 flyer
Belgooly show 2014 flyer
 
Belgooly Show Animal entry forms
Belgooly Show Animal entry formsBelgooly Show Animal entry forms
Belgooly Show Animal entry forms
 

Último

How to Make a Pirate ship Primary Education.pptx
How to Make a Pirate ship Primary Education.pptxHow to Make a Pirate ship Primary Education.pptx
How to Make a Pirate ship Primary Education.pptxmanuelaromero2013
 
Nutritional Needs Presentation - HLTH 104
Nutritional Needs Presentation - HLTH 104Nutritional Needs Presentation - HLTH 104
Nutritional Needs Presentation - HLTH 104misteraugie
 
Separation of Lanthanides/ Lanthanides and Actinides
Separation of Lanthanides/ Lanthanides and ActinidesSeparation of Lanthanides/ Lanthanides and Actinides
Separation of Lanthanides/ Lanthanides and ActinidesFatimaKhan178732
 
BASLIQ CURRENT LOOKBOOK LOOKBOOK(1) (1).pdf
BASLIQ CURRENT LOOKBOOK  LOOKBOOK(1) (1).pdfBASLIQ CURRENT LOOKBOOK  LOOKBOOK(1) (1).pdf
BASLIQ CURRENT LOOKBOOK LOOKBOOK(1) (1).pdfSoniaTolstoy
 
Q4-W6-Restating Informational Text Grade 3
Q4-W6-Restating Informational Text Grade 3Q4-W6-Restating Informational Text Grade 3
Q4-W6-Restating Informational Text Grade 3JemimahLaneBuaron
 
Accessible design: Minimum effort, maximum impact
Accessible design: Minimum effort, maximum impactAccessible design: Minimum effort, maximum impact
Accessible design: Minimum effort, maximum impactdawncurless
 
Measures of Central Tendency: Mean, Median and Mode
Measures of Central Tendency: Mean, Median and ModeMeasures of Central Tendency: Mean, Median and Mode
Measures of Central Tendency: Mean, Median and ModeThiyagu K
 
Introduction to AI in Higher Education_draft.pptx
Introduction to AI in Higher Education_draft.pptxIntroduction to AI in Higher Education_draft.pptx
Introduction to AI in Higher Education_draft.pptxpboyjonauth
 
microwave assisted reaction. General introduction
microwave assisted reaction. General introductionmicrowave assisted reaction. General introduction
microwave assisted reaction. General introductionMaksud Ahmed
 
The basics of sentences session 2pptx copy.pptx
The basics of sentences session 2pptx copy.pptxThe basics of sentences session 2pptx copy.pptx
The basics of sentences session 2pptx copy.pptxheathfieldcps1
 
18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdf
18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdf18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdf
18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdfssuser54595a
 
Grant Readiness 101 TechSoup and Remy Consulting
Grant Readiness 101 TechSoup and Remy ConsultingGrant Readiness 101 TechSoup and Remy Consulting
Grant Readiness 101 TechSoup and Remy ConsultingTechSoup
 
Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...
Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...
Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...EduSkills OECD
 
1029-Danh muc Sach Giao Khoa khoi 6.pdf
1029-Danh muc Sach Giao Khoa khoi  6.pdf1029-Danh muc Sach Giao Khoa khoi  6.pdf
1029-Danh muc Sach Giao Khoa khoi 6.pdfQucHHunhnh
 
Contemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptx
Contemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptxContemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptx
Contemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptxRoyAbrique
 
Paris 2024 Olympic Geographies - an activity
Paris 2024 Olympic Geographies - an activityParis 2024 Olympic Geographies - an activity
Paris 2024 Olympic Geographies - an activityGeoBlogs
 

Último (20)

How to Make a Pirate ship Primary Education.pptx
How to Make a Pirate ship Primary Education.pptxHow to Make a Pirate ship Primary Education.pptx
How to Make a Pirate ship Primary Education.pptx
 
Nutritional Needs Presentation - HLTH 104
Nutritional Needs Presentation - HLTH 104Nutritional Needs Presentation - HLTH 104
Nutritional Needs Presentation - HLTH 104
 
Separation of Lanthanides/ Lanthanides and Actinides
Separation of Lanthanides/ Lanthanides and ActinidesSeparation of Lanthanides/ Lanthanides and Actinides
Separation of Lanthanides/ Lanthanides and Actinides
 
Mattingly "AI & Prompt Design: The Basics of Prompt Design"
Mattingly "AI & Prompt Design: The Basics of Prompt Design"Mattingly "AI & Prompt Design: The Basics of Prompt Design"
Mattingly "AI & Prompt Design: The Basics of Prompt Design"
 
Código Creativo y Arte de Software | Unidad 1
Código Creativo y Arte de Software | Unidad 1Código Creativo y Arte de Software | Unidad 1
Código Creativo y Arte de Software | Unidad 1
 
BASLIQ CURRENT LOOKBOOK LOOKBOOK(1) (1).pdf
BASLIQ CURRENT LOOKBOOK  LOOKBOOK(1) (1).pdfBASLIQ CURRENT LOOKBOOK  LOOKBOOK(1) (1).pdf
BASLIQ CURRENT LOOKBOOK LOOKBOOK(1) (1).pdf
 
Q4-W6-Restating Informational Text Grade 3
Q4-W6-Restating Informational Text Grade 3Q4-W6-Restating Informational Text Grade 3
Q4-W6-Restating Informational Text Grade 3
 
Accessible design: Minimum effort, maximum impact
Accessible design: Minimum effort, maximum impactAccessible design: Minimum effort, maximum impact
Accessible design: Minimum effort, maximum impact
 
Measures of Central Tendency: Mean, Median and Mode
Measures of Central Tendency: Mean, Median and ModeMeasures of Central Tendency: Mean, Median and Mode
Measures of Central Tendency: Mean, Median and Mode
 
Introduction to AI in Higher Education_draft.pptx
Introduction to AI in Higher Education_draft.pptxIntroduction to AI in Higher Education_draft.pptx
Introduction to AI in Higher Education_draft.pptx
 
microwave assisted reaction. General introduction
microwave assisted reaction. General introductionmicrowave assisted reaction. General introduction
microwave assisted reaction. General introduction
 
The basics of sentences session 2pptx copy.pptx
The basics of sentences session 2pptx copy.pptxThe basics of sentences session 2pptx copy.pptx
The basics of sentences session 2pptx copy.pptx
 
18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdf
18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdf18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdf
18-04-UA_REPORT_MEDIALITERAСY_INDEX-DM_23-1-final-eng.pdf
 
Grant Readiness 101 TechSoup and Remy Consulting
Grant Readiness 101 TechSoup and Remy ConsultingGrant Readiness 101 TechSoup and Remy Consulting
Grant Readiness 101 TechSoup and Remy Consulting
 
Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...
Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...
Presentation by Andreas Schleicher Tackling the School Absenteeism Crisis 30 ...
 
1029-Danh muc Sach Giao Khoa khoi 6.pdf
1029-Danh muc Sach Giao Khoa khoi  6.pdf1029-Danh muc Sach Giao Khoa khoi  6.pdf
1029-Danh muc Sach Giao Khoa khoi 6.pdf
 
Contemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptx
Contemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptxContemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptx
Contemporary philippine arts from the regions_PPT_Module_12 [Autosaved] (1).pptx
 
Mattingly "AI & Prompt Design: Structured Data, Assistants, & RAG"
Mattingly "AI & Prompt Design: Structured Data, Assistants, & RAG"Mattingly "AI & Prompt Design: Structured Data, Assistants, & RAG"
Mattingly "AI & Prompt Design: Structured Data, Assistants, & RAG"
 
TataKelola dan KamSiber Kecerdasan Buatan v022.pdf
TataKelola dan KamSiber Kecerdasan Buatan v022.pdfTataKelola dan KamSiber Kecerdasan Buatan v022.pdf
TataKelola dan KamSiber Kecerdasan Buatan v022.pdf
 
Paris 2024 Olympic Geographies - an activity
Paris 2024 Olympic Geographies - an activityParis 2024 Olympic Geographies - an activity
Paris 2024 Olympic Geographies - an activity
 

Gdpr the imo guide draft 2