The municipal syndic of offenses has habilitation to ask the Town Council for the information necessary for the fulfillment of its functions. However, by virtue of the principle of minimization (article 5.1 c) RGPD) it only seems suitable the possibility to be able to access the concrete reports, or parts of reports, which the researches of the municipal syndic of offenses (considering 31 RGPD) refer to. From the perspective of the regulations of data protection and for the information of which he is about, to facilitate to the municipal syndic of offenses the direct access in the municipal aplicatiu it would not adapt at the beginning of minimization of data and podría to mean a risk for the suitable protection of the personal information of the citizens.