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Post by juthi52943 on Jan 4, 2024 13:32:05 GMT 10
On the need to use data to analyze market needs in order to improve the quality of services provided or to create new products based on previously obtained data. The French supervisory authority (CNIL) has commented on the admissibility of re-using data by the processor. He emphasized that the processor may use the collected personal data on its own behalf, provided. However, that their re-use remains Job Function Email List consistent with the original purpose of processing (specified in the entrustment agreement) and that the administrator grants this entity written consent. A processor wishing to re-use data will have to notify the data controller of this need as it cannot voluntarily re-process the data (except where such an obligation is imposed on it by EU law or the law of the Member State to which it is subject, or where it has explicit consent of the data subject. This action is necessary, because otherwise the processor would not only violate the provisions of the GDPR, but would also be subject to the sanctions provided for in the original entrustment agreement. IOD function - this is conveyed well Compatibility test required As indicated by the CNIL, when the purpose of processing differs from the purpose originally indicated in the contract concluded with the controller, it is necessary to carry out a compatibility test.
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