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597 results were found for your search terms Right of access to information
Denial of information related to access to files affecting the person making the claim
IAI 30/2022
The data protection regulations do not prevent the person making the claim from communicating the information relating to the traceability of access to their personal information, in particular, knowing the first and last names and the rank of the people who have accessed it. There is also no impediment to accessing information relating to whether a certain person is part of the staff of the professional association and, in the event that they have accessed it, whether they had access permissions to the information relating to the person making the claim.
01/09/2022
Denial of access to information related to a service extension file
IAI 31/2022
The data protection regulations do not prevent the person making the claim from providing the service extension file corresponding to the person occupying the position of Intervention, omitting the information that contains special categories of data, specifically the person's health data affected.
30/08/2022
Possibility of communicating the identification data of the workers affected by the claim presented by the users of the railway service
CNS 19/2022
The entity formulating the query can communicate the first and last names and the position or category of the workers referred to in the query (of station agents, auditors, machinists and staff of own offices who provide their services in the stations, trains and facilities, in a labor regime) at the request of people using the service who have submitted a claim against them. This communication would be authorized in article 6.1.c) RGPD in relation to the LTC. In the case of groups that require protection for security reasons, the communication should only include the professional identification number. The entity should inform the affected person that their data has been requested by a user before providing them with the information so that, if applicable, they can allege the personal circumstances on which the request is based their opposition to access. This, unless he had previously been informed about the possibility of these transfers, in accordance with the provisions of article 70.4 RLTC.
23/08/2022
Posting on DPD bad data web portal.
PS 36/2022
Article 12 on the transparency of information is impotently violated by the publication of DPD contact data that did not correspond to the data of the person who actually performed those functions. This meant that the whistleblower could not have the information that the City Council was obliged to provide, constituting a breach provided for in Article 83.5.b.) GDPR in relation to article 74.a LOPDGDD, 'the incompliance of the principle of the transparence of informationn'.
28/07/2022
Report in relation to the Draft order approving, modifying and repealing access tables and document evaluation
PD 9/2022
22/07/2022
Denial of access to information related to the Municipal Urban Development Plan
IAI 28/2022
Access to the allegations that have been presented in the public information procedure of the approval procedure of the POUM and to the reports that have been issued during this procedure, must be done after anonymizing the data of natural persons (except for the merely identifying data of public employees that may appear there). The regulations for the protection of personal data do not prevent access to information relating to the classification, urban qualification and urban use of the estates on which this information is requested.
22/07/2022
Refusal of information on the representation expenses of the various municipal offices
IAI 27/2022
From the point of view of data protection regulations, there should be no impediment to providing the person making the claim with information on the supporting documents for representation expenses (tickets, specific supporting documents) made by the person holding the mayor's office or of the various councils and other municipal positions, omitting the information that allows to analyze or establish certain aspects related to your health, to your personal preferences or to establish non-pertinent guidelines for behavior to achieve the intended purpose. Nor would the data protection regulations prevent access to the data of third-party natural persons that may appear in invoices or other supporting documentation, nor to the name and surname and, where appropriate, the position, of the third-party persons with whom 'has made the expenditure.
15/07/2022
Denial of access to documentation provided by participants in a job provision process
IAI 26/2022
The access and obtaining of a copy, by the Personnel Board, of the documentation certifying the merits alleged by the people participating in a provision process does not comply with the data protection regulations, due to the which should limit the query to the identity of the people who have obtained a job and the scores obtained in the different merits assessed.
15/07/2022
Denial of information on training tests for members of the local police to carry firearms
IAI 25/2022
The person making the claim cannot access the personal information of the members of the Local Police, regarding the training tests to be able to carry firearms that have been practiced during the period of time to which the claim refers. It would be necessary to provide aggregated information regarding the pass or fail results obtained for each period, as it seems that the City Council has already done. The data protection regulations would not prevent access to the first and last names and position or category of the people who have certified the various training tests.
30/06/2022
Denial of access to information on the monetary perceptions of the political groups of the County Council
IAI 23/2022
The data protection regulations do not prevent the claimant from accessing information on the breakdown of the amounts allocated to each group and on the different expenditure concepts made by the groups during the requested period, for the purposes of controlling the destination of the funds they receive. It also does not prevent access to the supporting invoices for expenses that contain personal data of the councilors, as well as third-party natural persons with whom they have contracted, although it would be necessary to remove from the supporting documents the information that allows to analyze or establish certain relative aspects to the personal life of the person making the expenditure, their personal preferences or establishing certain guidelines of conduct, as well as certain data (such as private addresses or ID number), which are not relevant to achieve the purpose of transparency.
16/06/2022
Total number of pages: 60