The GDPR requires companies to maintain a register of processing activities (Article 30 GDPR). In this first part on the VVT, you will learn who must keep such a register and what the consequences are in the event of a breach. Read part 2 here...
What for and why a procedural directory It sounds complicated and what sounds complicated is first pushed aside. But this should rather not happen in this case. The procedure directory is an overview of the individual processing activities, i.e....
Technical storage or access is strictly necessary for the lawful purpose of enabling the use of a particular service expressly requested by the subscriber or user, or for the sole purpose of carrying out the transmission of a message over an electronic communications network.
The technical storage or access is necessary for the legitimate purpose of storing preferences that have not been requested by the subscriber or user.
The technical storage or access, which is carried out exclusively for statistical purposes.Technical storage or access used solely for anonymous statistical purposes. Without a subpoena, the voluntary consent of your Internet service provider, or additional records from third parties, information stored or accessed for this purpose alone generally cannot be used to identify you.
Technical storage or access is necessary to create user profiles, to send advertisements, or to track the user on a website or across multiple websites for similar marketing purposes.