The communication of data in the company of occupational risk prevention under the figure of the person in charge of the treatment does not constitute a cession of data to the effects of the LOPD. In this case, the LOPD does not require that in the section "cessions" of the file Occupational Risk Prevention represents the communication of data that are made between the public entity and the company that loans these services. In the supposition in which the contract with the lender company of the services of work risks does not contain the forecasts of article 12.2 of the LOPD, the communication of data between the public entity and the company it will require to have of the previous consent of the affected ones or of the existence of a law that fits out the cession. In this case in the section "cessions" of the file yes that this communication will have to appear there.