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47 results were found for your search terms OBLIGATIONS
Authority was not reported to designate the Data Protection Delegate
PS 40/2021
The start agreement was charged with the Department of Agriculture (now, Department of Climate Action, Food and Rural Agenda) Two violations: a) The violation of the principle of legality for having accessed the Personal Personal
22/02/2022
Implantation of a system of hourly control through facial recognition
CNS 2/022
The consent of the affected personnel cannot be considered an adequate legal basis for the implementation of a time control system through facial recognition such as the one described in the consultation. It would be necessary to foresee this control system in a legal provision or in an applicable collective agreement, or where appropriate, in a pact or agreement resulting from collective bargaining, circumstances that do not seem to occur in the case analyzed.In any case, before the implementation of such a system, it is necessary to make an assessment of the impact on data protection in light of the specific circumstances in which the treatment is carried out to determine its legality and proportionality, including the analysis of the existence of less intrusive alternatives, and establish the appropriate guarantees.
02/02/2022
Recordings with cameras on the outside of a microweapon.
PS 50/2021
A city council is admonished as responsible for 4 infringements: 1) to capture images of the public track through cameras installed outside the micro-weapon, disproportionately (the public pathway was captured beyond what is required); 2) to use images captured for security purposes to identify the person who had not correctly deposited a residue; 3) Because the RAT does not include all prescriptive information and contains inaccurate information; and 4) To not fully inform the persons concerned.
01/02/2022
Implementation of a doors to door system of waste collection
CNS 60/2021
Choosing the most appropriate selective collection model in the municipality requires an impact assessment on data protection. The City Council, in view of the powers it has been assigned in matters of waste management, would be entitled to carry out the processing of data arising from the implementation of the selective collection system. However, in the absence of a specific legal provision, the development of profiles that produce legal effects on the person using the service or that significantly affect them in a similar way, requires the explicit consent of the persons affected. The participation of third parties in the implementation of this system requires the formalization of a contract of manager and, where applicable, of sub-manager, as well as, where applicable, the fulfillment of the obligations established in this regard in the LCSP.
01/02/2022
Institutional communication through a group of .
28/2021
In the collection of the data it is necessary to facilitate all the foreseen information to the article|item 13 of the RGPD. In fulfillment|compliment of the duties to data protection in the design, the responsible for the treatment has to adopt the technical and organizational measures adapted to apply the principles of data protection in an effective way, among|between which the principle|beginning of confidentiality. In the present case, was not guaranteed that the persons who joined to the group of WhatsApp created by the Town Council, they could not access the number of mobile|motive, photo of profile and user name of the rest of members.
13/09/2021
Adequacy of a system of video surveillance to the regulations of data protection
CNS 42/2021
The data protection regulations do not give the City Council sufficient authorization to install a video surveillance system on public roads in order to control and, where appropriate, exercise the sanctioning power with respect to uncivil conduct relating to the dumping of waste. in the collection areas. In the event that the City Council installs a video surveillance system in closed and delimited waste collection areas, and not on public roads, it would be necessary to comply with the principles and guarantees of personal data protection regulations in the terms provided. in the RGPD, the LOPDGDD and Instruction 1/2009.
03/09/2021
Development of an application for mobile telephones to collect information within the framework of projects of research
CNS 26/2021
The proposed anonymization process would not guarantee the treatment of anonymous data within the Project to be developed by the University. However, the option of articulating the treatment on the basis of the explicit consent of the persons concerned could be considered, without prejudice to the adoption of appropriate measures to ensure that this treatment is in line with the RGPD, such as providing detailed and clear information in this regard, and applying the measures indicated in the opinion to make re-identification difficult.
02/06/2021
University study to pupils of .
74/2020
The collection of data has to respect the principle|beginning of loyalty. For the treatment of special categories of data, it is necessary that one of the foreseen circumstances contributes to article|item 9.2 RGPD. In the collection of data cash has to be made the law|right of information. To determine the appropriate technical and organizational measures to guarantee the security|certainty of the data, it is necessary to make one analysis of risks. With character previous to the treatment, it is necessary to carry out an evaluation of impact related to the data protection when the treatment entails a high risk for the rights and freedoms of the affected persons. The representative of data protection has to take part in all the questions related to the data protection personal in a suitable way and in the appropriate moment.
21/05/2021
Installation of cameras in the municipality for video surveillance purposes
CNS 21/2021
In the particular case, the City Council could have a sufficient legal basis for capturing images through video surveillance cameras in the spaces relating to the indoor and outdoor sports area for security reasons, given the provision of the Article 6.1.e) of the RGPD, in connection with Article 22 of the LOPDGDD. This authorization cannot be ruled out as existing in the case of the multipurpose room, although in this case a priori it does not seem clear the justification of its purpose based on security reasons. To this end, the principles and obligations established in the data protection regulations (RGPD and LOPDGDD) and, where applicable, in Instruction 1/2009 must be complied with. The video surveillance system in the area in front of the City Hall, the parking area and the area of the residents ’household waste containers, for security reasons, is governed by the regulations governing police video surveillance, in the terms set out.
28/04/2021
Notification system without implementing appropriate technical and organisational measures to ensure that by default only the personal data needed for the purpose of treatment are treated.
PS 61/2020
The City Council practiced notifications to citizens of the municipality without applying any protective measures that would prevent access to the contents of the document to notify, so that the notifier agent could access the full content of the notification. Also, to accredit the practice of the notification provided the notifier agent with a copy of the document to notify that the recipient had to sign.
25/03/2021
Total number of pages: 5