The regulations of data protection do not prevent from facilitating a relation of research projects and of publications that have been carried out at University, with identification of the persons who have taken part in it, nor it would prevent to communicate to the complaining person the reports of projects follow-up and the justification of expenses, the requested bills, as well as the information about the recruitment and the remunerations included, including the identity of the persons affected. This, without harm of omitting those identification data (as the NIF or the address of the affected persons) as well as other particulars that, beyond the identification of the adjudicator or of the teachers and investigators assigned to the projects, can figure in the requested documentation and are unnecessary to attain the purpose of transparency pursued.