For the avoidance of doubt, EDPS recommends to expressly clarify in negotiating directives that the negotiated rules should not prevent EU or Member States from adopting, in duly justified cases, measures requiring controllers or processors to store personal data in the EU/EEA.

🐦🔗: nitter.eu/EU_EDPS/status/15580

The horizontal provisions represent balanced compromise btw public & private interests to tackle protectionist practices in 3rd countries while ensuring that trade agreements can't be used to challenge high level of protection by fundamental rights &

🐦🔗: nitter.eu/EU_EDPS/status/15580

EDPS welcomes the specification that the provisions on cross-border data flows with Japan should be coherent with the horizontal provisions for cross-border data flows and personal data protection in negotiations.

🐦🔗: nitter.eu/EU_EDPS/status/15580

EDPS takes note that the negotiations would exclusively concern cross-border data flows and recommends detailing the reasons why, despite decision granted to Japan on 23 Jan 2019 by @EU_Commission, further negotiations on cross-border data flows are considered necessary

🐦🔗: nitter.eu/EU_EDPS/status/15580

.@W_Wiewiorowski has published his Opinion on the Recommendation for a Council Decision authorising the opening of negotiations for the inclusion of provisions on flows in the Agreement btw and for an Economic Partnership -
europa.eu/!TPnftt

🐦🔗: nitter.eu/EU_EDPS/status/15580

In March launched two social media platforms & . EU Voice is a microblogging social network based on free, -friendly & decentralised software. Learn more about the pilot project europa.eu/!YnVqrc

🐦🔗: nitter.eu/EU_EDPS/status/15579

RT @GPATurkiye2022: 📌A Matter of Balance: Privacy in The Era of Rapid Technological Advancement
🗓️October 25-28, 2022
📍İstanbul - Türkiye 🇹🇷

🌐
@PrivacyAssembly
@KVKKurumu @KVKK_en

🐦🔗: nitter.eu/EU_EDPS/status/15579

Finally, insofar as the Proposal aims to establish an IT system for the purpose of linking databases, EDPS recommends including a high level description of the IT tool, including roles and responsibilities and relevant applicable safeguards.

🐦🔗: nitter.eu/EU_EDPS/status/15576

EDPS considers that categories of personal data as well as specific purposes for processing should be specified directly in the Proposal. EDPS recommends specifying the retention period for the relevant categories of personal data and clarifying the roles of the actors involved.

🐦🔗: nitter.eu/EU_EDPS/status/15576

For publication of data, the Proposal does not provide a specific reason of public interest justifying the publication of personal data in identifiable form even if the data are pseudonymised. EDPS recommends that only duly anonymised data may be made publically available.

🐦🔗: nitter.eu/EU_EDPS/status/15576

EDPS positively notes that farmers data and all other individual details would be anonymised or pseudonymised. EDPS considers important to preserve clear distinction as pseudonymous data can still be related to an identifiable individual and therefore qualifies as personal data.

🐦🔗: nitter.eu/EU_EDPS/status/15576

EDPS welcomes explicit references to the need to comply with and and recommends revisiting proposed definitions to ensure that these regulations are referenced in a systematic and consistent manner and to avoid introducing definitions of concepts already covered.

🐦🔗: nitter.eu/EU_EDPS/status/15576

@W_Wiewiorowski publishes his Opinion on the Proposal for a Regulation as regards conversion of the Farm Accountancy Data Network into a Farm Sustainability Data Network
🔴Read the Opinion on europa.eu/!FdBCHx

🐦🔗: nitter.eu/EU_EDPS/status/15576

In June we organised titled ‘The future of : effective enforcement in the digital world” which sparked genuine discussions. You can now watch the debate here: edpsconference2022.eu/en

🐦🔗: nitter.eu/EU_EDPS/status/15572

What are the ethical dimensions of the EU Digital Identity Wallet? Listen to the second episode of the three-part podcast series organised by and @EU_EDPB trainees to find out: europa.eu/!rJHVGm

🐦🔗: nitter.eu/EU_EDPS/status/15569

What does the do? How do we protect your personal data when processed by ? What is our vision for the years to come? Check out our Brochure (europa.eu/!Kgkrcg) or consult the FAQ section on our website (europa.eu/!MbFBn3) to find out!

🐦🔗: nitter.eu/EU_EDPS/status/15554

Are you interested in new, emerging ? Would you like to learn more about Fediverse, card-based payments, facial emotion recognition or quantum computing? Subscribe to our TechDispatch reports and receive them in your mailbox europa.eu/!YP87wU

🐦🔗: nitter.eu/EU_EDPS/status/15551

RT @PrivacyAssembly: The 44th Global Privacy Assembly, hosted by @KVKK_en, will be held in Istanbul 🇹🇷, from 25 to 28 October 2022, titled "A matter of Balance: Privacy in the Era of Rapid Technological Advancement".

🐦🔗: nitter.eu/EU_EDPS/status/15547

All EU institutions process personal data in their day-to-day work. Under EU law, when your is being processed, you are - as a data subject - entitled to a certain number of rights. Learn more: europa.eu/!mR7TRj

🐦🔗: nitter.eu/EU_EDPS/status/15547

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