APD/GBA (Belgium) · 18 October 2022
Social housing organisation
Name not published.
About: Accountability, Data principles, International transfers, Processor obligations, Unlawful processing
- Regulator
- APD/GBA (Belgium)
- Decided
- 18 October 2022
- Country
- Belgium
- Sector
- Not given
- Regulator’s reference
- 149/2022
- Fino case number
- 2022/BE/039
What happened
The Belgium DPA held that a social housing organisation could rely on Article 6(1)(e) GDPR to investigate foreign assets of data subjects and on Article 49(1)(d) GDPR for international data transfers in connection with this purpose. However, the DPA reprimanded the controller for violations of Articles 28(2) and 28(3) GDPR in a data processing agreement.
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(1)(a) · 5(1)(b) · 5(1)(c) · 5(1)(d) · 5(1)(e) · 5(1)(f) · 5(2)Read →
- Art. 6Lawfulness of processing6(1)(e)Read →
- Art. 24Responsibility of the controller24(1)Read →
- Art. 28Processor28(2) · 28(3)Read →
- Art. 44General principle for transfersRead →
- Art. 46Transfers subject to appropriate safeguardsRead →
- Art. 49Derogations for specific situations49(1)(d) · 49(4)Read →
- Art. 57Tasks57(4)Read →
- Accountability
- Data principles
- International transfers
- Processor obligations
- Unlawful processing
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 2022/BE/039.