CNIL (France) · 4 March 2026
KASPR
About: Data principles, Data subject rights, Transparency, Unlawful processing
FineNo fine
- Regulator
- CNIL (France)
- Decided
- 4 March 2026
- Country
- France
- Sector
- Not given
- Regulator’s reference
- SAN-2026-004
- Fino case number
- 2026/FR/009
What happened
The DPA found that a lead generation company collecting professional contact data from LinkedIn complied with a prior decision ordering it to bring its data collection, data retention, transparency and access requests responses and activities into compliance. Therefore, the DPA did not enforce the penalty payment.
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)(e)Read →
- Art. 6Lawfulness of processingRead →
- Art. 12Transparent information, communication and modalities for the exercise of the rights of the data subjectRead →
- Art. 14Information to be provided where personal data have not been obtained from the data subjectRead →
- Art. 15Right of access by the data subjectRead →
- Data principles
- Data subject rights
- Transparency
- 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 2026/FR/009.