What (currently ignored) privacy area might result in early enforcement action when the GDPR is in force?
Data Protector
JANUARY 29, 2017
And also, what standard of evidence is necessary to be generated, just in case privacy regulators exercise their Article 30(4) right to request it. Because the other firm had decided to focus on some obscure GDPR issues that the original firm didn’t think were particularly relevant. Does this matter?
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