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55 results were found for your search terms Data files
Creation and modification of files of a private University linked to the exercise of public functions
CNS 7/2009
Creation and modification of the files of a private University linked to the exercise of public functions. All the created files by the titular Foundation of a private university that is part of the university system of Catalonia are considered private files, ex article 5.1.l) of the RLOPD, for which the applicable juridical regime is the foreseen one in the chapter II of the LOPD (arts. 25 to 32), as well as, regarding the notification and inscription of the files, in the chapter II of the title V of the RLOPD. The creation, modification or suppression of files will have to be made in accordance with the rules of organization and functioning of the University itself -the articles 20.1 LOPD and 52 RLOPD- not being applicable, and the files will have to be set in the Register of Data Protection of Catalonia.
01/01/2009
Creation and modification of files of private University linked to the exercise of public functions
CNS 8/2009
Creation and modification of the files of a private University linked to the exercise of public functions. All the created files by the titular Foundation of a private university that is part of the university system of Catalonia are considered private files, ex article 5.1.l) of the RLOPD, for which the applicable juridical regime is the foreseen one in the chapter II of the LOPD (arts. 25 to 32), as well as, regarding the notification and inscription of the files, in the chapter II of the title V of the RLOPD. The creation, modification or suppression of files will have to be made in accordance with the rules of organization and functioning of the University itself -the articles 20.1 LOPD and 52 RLOPD- not being applicable, and the files will have to be set in the Register of Data Protection of Catalonia.
01/01/2009
Implantation of hourly control system through digital imprint in a Public Administration
CNS 9/2009
Implantation of a system of hourly control through the digital imprint on the part of a public administration. The digital imprint has consideration of personal datum (art. 3 to) LOPD and 5.1 f) RLOPD). Its treatment is considered in agreement with the principles of proportionality and quality of the data (art. 4 LOPD), to be a suitable, pertinent and non excessive treatment in relation to the purpose of to control the fulfillment of the timetable of the workers, without necessary being to have its consent (art. 6.2 LOPD). However, it will be necessary to comply with the rest of principles and duties to the LOPD, especially, the duty of informing (art. 5 LOPD), the creation and inscription of the file (art. 20 LOPD) and the adoption of exigible safety measures, and if, the application of additional measures in attention to the nature of the treated information and the predictable risks, is proper.
01/01/2009
Request of information about the nature of the file "pre-registered in the professional association" of a professional school
PET 3/2009
The Inscription of the files of titularity of the professional schools that have its area of performance in Catalonia corresponds to the Catalan Agency of Protection of Data, with independence of the public or private nature of the same ones. The file "preregistered" in the professional association of the professional School that formulates the consultation, it does not gather the necessary requirements to be able to be qualified as public nature since it is not in the exercise of public authorities linked.
01/01/2009
Request of information about the nature of the file of "Individuals" of a Bar Association
PET 4/2009
The Inscription of the files of titularity of the professional schools that have its area of performance in Catalonia corresponds to the Catalan Agency of Protection of Data, with independence of the public or private nature of the same ones. The file "individuals" of the School that formulates the consultation, in order to collect curricula and manage activities of formation to persons that they can be or no members of the school, it does not gather the necessary requirements to be able to be qualified as public nature since it is not in the exercise of public authorities linked.
01/01/2009
Request of information about the nature of a file of the AMPA of a public school placed in Catalonia
PET 5/2009
The competent authority for the inscription and control of the file Data associates, created by the Association of Mothers and Pares of Pupils of the Public School (...), it is the Catalan Agency of Protection of Data, ex article 156.b of the EAC, since it is a file that it is created for the exercise of the educational public functions that the AMPA has assigned; these functions are related with Education, which a matter is about the what the Generalitat has competences (article 131 EAC); and the treatment is made in Catalonia. The analyzed file is a private file, since the entity that has created it, the Association of Mothers and Pares of Pupils of the Public School (...), it has juridical-private nature. Consequently, it is necessary to the Register of Data Protection of Catalonia to inscribe it as a private file.
01/01/2009
Request of information about the creation of several files of personal character data of a professional school
PET 6/2009
The Inscription of the files of titularity of the professional schools that have its area of performance in Catalonia corresponds to the Catalan Agency of Protection of Data, with independence of the public or private nature of the same ones. Only the included files to the proposal for being in the exercise of public functions strictly linked can be qualified as files of public nature.
01/01/2009
Request of information about the nature of determinate files of the Chambers of Commerce
PET 8/2009
The Inscription of the files of titularity of the Chambers of Commerce, industry and navigation that have its area of performance in Catalonia, with independence of the public nature or deprived from the same ones corresponds to the Catalan Agency of Protection of Data. Only the included files to the proposal for being in the exercise of public functions strictly linked can be qualified as files of public nature.
01/01/2009
Request of information about the competence of the Agency for the inscription of files of a Catalan sport Federation
PET 11/2009
It corresponds to the Catalan Agency of Protection of Data the Inscription in the Register of Data Protection of Catalonia of the files of titularity of a Catalan sport federation.
01/01/2009
Request of information about the competence of the Agency for the inscription of determinate files of a company dealer
PET 12/2009
Competence of the Catalan Agency of Protection of Data for the inscription and control of the files "Management and exploitation of the concessions" and "Integral management of the company customers" of a company dealer.
01/01/2009
Total number of pages: 6