Post by juthi52943 on Jan 4, 2024 9:20:13 GMT 5.5
Which was issued as a result of a complaint from MB hereinafter referred to as the Complainant regarding irregularities in the processing of his personal data by the Company. The complainant claimed that he twice requested the Company to stop processing his data, but in both cases the request was not met. He also indicated that he was asked by the Company to use a portal from another company with a different name and a different Internet address.
In the administrative proceedings conducted by the President of the Persona Job Function Email List it was established that the Company is currently processing MBs personal data only for the purpose of responding to correspondence as part of the ongoing proceedings before the President of the Personal Data Protection Office. The evidence collected in the case showed that the Company, after receiving a request from the President of the Personal.
Data Protection Office to provide explanations and respond to the content of the complaint, contacted G. . its associated central unit and received onetime access to the Complainants data. In the explanations sent to the President of the Personal Data Protection Office, the Company indicated that the legal basis for obtaining the Complainants personal data from a third party is Art. section letter f GDPR, . the legitimate interest of the data controller/third party.
In the administrative proceedings conducted by the President of the Persona Job Function Email List it was established that the Company is currently processing MBs personal data only for the purpose of responding to correspondence as part of the ongoing proceedings before the President of the Personal Data Protection Office. The evidence collected in the case showed that the Company, after receiving a request from the President of the Personal.
Data Protection Office to provide explanations and respond to the content of the complaint, contacted G. . its associated central unit and received onetime access to the Complainants data. In the explanations sent to the President of the Personal Data Protection Office, the Company indicated that the legal basis for obtaining the Complainants personal data from a third party is Art. section letter f GDPR, . the legitimate interest of the data controller/third party.