We highly appreciate the Commission's efforts to remove some of the procedural barriers to a more uniform...
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EFDPO Position Paper on the Proposal for a regulation of the European Parliament and of the Council on harmonised rules on fair access to and use of data (Data Act)
The Data Act aims to create a Europe-wide legal framework for the access to, use and sharing of data generated in the...
Comments on the draft of the EDPB “Guidelines 3/2022 on Dark patterns in social media platform interfaces: How to recognise and avoid them”
The Czech Data Protection Association sent the following comments on the draft of the EDPB “Guidelines 3/2022 on Dark...
Comments on the European Data Protection Board’s Guidelines 01/2021 on Examples regarding Data Breach Notification
EFDPOs Position Following the European Data Protection Board’s (EDPB) request for public consultation on Guidelines...
Comments on the EDPB’s draft “Guidelines 10/2020 on restrictions under Article 23 GDPR”
The EFDPO appreciates the opportunity to present its comments to the recently published EDPB draft Guidelines 10/2020....
Comments on the EDPB Recommendations 01/2020 on measures that supplement transfer tools to ensure compliance with the EU level of protection of personal data
The European Federation of Data Protection Officers (EFDPO) welcomes the recently adopted Recommendations 01/2020 on...
Comments on the EDPB Guidelines 07/2020 on the concepts of controller and processor in the GDPR
We welcome the opportunity to present our comments to the recently published EDPB draft Guidance on Controller and...
Schrems II: DPOs left alone with unsolvable dilemmas
Recently, great attention has been given to the “Schrems II” case. In a position paper the EFDPO draws attention to some aspects of this decision and the subsequent actions of public authorities that European DPOs have to deal with.