APD/GBA (Belgium) · 20 April 2020
Not named in the source
About: Accountability, Data principles
FineNo fineViolation found
- Regulator
- APD/GBA (Belgium)
- Decided
- 20 April 2020
- Country
- Belgium
- Sector
- Not given
- Regulator’s reference
- 16/2020
- Fino case number
- 2020/BE/015
What happened
The Belgian DPA finds that videosurveillance is a processing likely to result in a risk to the rights and freedoms and that a data controller that employs fewer than 250 persons is therefore still subject to Article 30(1) GDPR in this regard, having to establish a record of processing activities for videosurveillance.
Summary from GDPRhub (noyb), written by its volunteers, not by Fino. CC BY-NC-SA 4.0.
Rules involved
- Art. 5Principles relating to processing of personal data5(2)Read →
- Art. 24Responsibility of the controllerRead →
- Art. 30Records of processing activities30(1) · 30(5)Read →
- Accountability
- Data principles
Sources
The facts on this page come from the sources above, as they recorded them. Nothing has been estimated or filled in. Not legal advice.
Spotted a mistake? Write to angelillolorenzo@gmail.com and quote 2020/BE/015.