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12.06.20 | Data Sharing Agreement Controller To Processor Template

In other cases where the recipient of the data is another person responsible for processing and not a common person responsible for processing, it is up to the processing manager to jointly determine the data necessary to comply with the provisions of the RGPD and protect the privacy of individuals. (i) keep an updated list of its subcontractors on the data processor`s website at www.templafy.com/ (or a future website used by the data processor); For the agreement to be effective, the parties must agree that it is feasible and achievable. Both parties will have to sign it. 13.2. At the request of the data company, the data processor must confirm in writing the destruction of personal data. The distinction depends on whether an organization determines the “purpose and means” of processing personal data. “processing” includes the collection, storage, use and transmission of personal data. Examples of Controller-Processor Relationships The use of data processors through data processing Data Managers in the voluntary and municipal sector could take the form of: some of you already have individual data processing agreements with Templafy and for those who do not, the data processing agreement that follows will govern this important part of our relationship. For example, the use of the Eventbrite online ticketing system automatically applies Eventbrite`s addendum Data Processing as part of the service agreement, which also contains the controller`s agreement for listed subcontractors. Note that the commitments are not very specific. Rather, this clause functions as a general statement requiring the person in charge of the processing to follow the agreement and comply with the law.

8. The data protection impact analysis and the data protection subcontractor provide the company with appropriate support for all data protection impact assessments and prior consultations with supervisory authorities or other data protection authorities; that the company considers reasonably necessary in accordance with section 35 or 36 of the RGPD or equivalent provisions of another data protection law, in any case only with respect to the processing of the company`s personal data by contract processors and taking into account the nature of the processing and information available to processors. (ii) any other correspondence, request or complaint received from a person, regulator or other third party concerned in the processing of the data.