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Responsibility of the management of the blogs of the AMPAS of the municipal nurseries
CNS 37/2013
THE AMPA is an association with legal status own and responsible for the files necessary for the exercise of its functions. THE AMPA it is therefore, the responsible for keeping vigil to fulfill the duties derived of the regulations of data protection, and in the case to want to spread personal information through blogs, to have the consent of the persons affected, unless a rule with rank of law fits out the publication. The AMPA would be therefore that one who should be responsible for eventual noncompliances on his part of the regulations of data protection.
23/07/2013
Report in relation to the proposal of modification of the Regulations of the Register of house applicants with official protection of Barcelona
PD 17/2013
22/07/2013
Report about the adequacy to the legislation on the subject of protection of data of the treatment through cameramen of videovigilància on the part of the Institute of Studies Ilerdencs
PD 19/2013
22/07/2013
RESOLUTION OF ARCHIVE of the Previous Information no. 31/2013, referring to the Town Council of Canet de Mar.
IP 31/2013
The performances are filed since the divulging on the part of the Town Council of the condition of ex-agent of the Local Police of the accusing person in different means, is not considered constitutive of offense of the regulations of data protection, for the reasons that make themselves there be evident. Applied articles: 11 LOPD, 10.2 D278/93
19/07/2013
RESOLUTION of the sanctionative procedure no. PS 13/2013, referring to the Department of Health.
PS 13/2013
The lack of implementation of the register of accesses, in relation in the files and treatments of high level, is constitutive of a severe offense. Applied articles: 9, 44.3.h LOPD; 103 RLOPD; 102 Law 26/2010; 133 LRJPA
19/07/2013
RESOLUTION of the sanctionative procedure no. PS 14/2013, referring to the Center of Epidemiological Studies about the Sexually Transmitted Infections and SIDA of Catalonia (CEEISCAT).
PS 14/2013
The data processing of personal character related to the health with statistical purposes without the concurrence of an express legal habilitation and neither without having obtained the express consent from the affected persons it is constitutive of an offense severe. Is also constitutive of a very severe offense the communication or cession of data of personal character related to the health in third one foreign to the person affected without its express consent nor the concurrence of an express legal habilitation. Applied articles: 4, 7, 11, 12, 21, 44.4.b LOPD; 34, 35, 36 Law 23/1998
19/07/2013
RESOLUTION of the sanctionative procedure no. PS 19/2013, referring to the Municipal Group of the Partit dels Socialistes de Catalunya in the Town Council of Vallbona d'Anoia.
PS 19/2013
The cession or communication of personal character data to non authorized third parties without the consent of the affected person nor the concurrence of a legal habilitation, is constitutive of a severe offense. The members of the Municipal Group who access information due to its charge, remain subject to the duty of secret. Applied articles: 10, 11 and 44.3.k LOPD; 164 dl 2/2003
19/07/2013
RESOLUTION of the procedure of rights protection no. 10/2013, urged by Mr. XXX against the Town Council of Barcelona
PT 10/2013
The claim for not having given answer to the request of cancellation of the police records in the deadline of 10 days legally loves itself established. Applied articles: Art.16 LOPD and 32 RLOPD
19/07/2013
RESOLUTION of the procedure of rights protection no. 11/2013, urged by Mr. XXX against the General Direction of Policeman of the Department of Inside of the Generalitat de Catalunya.
PT 11/2013
The claim for formal reasons is loved, since the claimed entity was forced to giving answer in the deadline established, in spite of not having data of the applicant. Applied articles: ART.16 LOPD and 32.2 RLOPD
19/07/2013
Competence for the inscription of the files of a Foundation dependent on a professional School
CNS 36/2013
Since the foundation can be considered an entity dependent on a professional school included in the area of performance of the APDCAT, the files of the mentioned foundation have to be notified to the Register of Data Protection of Catalonia, so that, if it is proper, the Catalan Authority of Protection of Data carries out its inscription.
17/07/2013
Total number of pages: 366