Many sports facilities (associations, clubs) wish to implement appropriate measures to limit the spread of the virus and ensure the resumption of sporting activities and events in complete safety (training sessions, tournaments, friendly matches, etc.). In this perspective, they question the conditions under which the personal data of athletes, coaches, referees or supervisors can be used, particularly in relation to health: systematic temperature detection before access to sports equipment, organisation of virological tests. before the organisation of a sporting event,…
Read moreLATVIAN SUPERVISORY AUTHORITY: European Data Protection Board – 39a plenary section: the AESD adopts guidelines on the concept of justified and reasonable objection.
Done at Brussels, on the 12 of October. During the 39a plenary section, the European Data Protection Board has adopted guidelines on the concept of justified and reasonable objection. The guidelines will promote a common interpretation of the concept, which will help to simplify the procedures referred into the Article n. 65 of the General Data Protection Regulation. In the context of the cooperation mechanisms required by NSA, the Supervisory Authorities have the obligation to “exchange all the relevant information”…
Read moreLUXEMBOURG SUPERVISORY AUTHORITY: DATA PROCESSING LAWFULNESS
Before processing personal data it is necessary to identify the juridical base on which is based the processing. The personal data processing is lawfull only if it complies with almost one of the following conditions: The data subject has agreed to the personal data processing for one or more specific aims. The processing is necessary for the execution of a contract of which the data subject is part or at the execution of pre contractual measures adopted upon request of…
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