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What does this mean for the application owner the data administrator who created backup copies of personal data while receiving a request to delete personal data from the application user The owner of the application the data administrator may process data from the backup copy until the entire backup copy is deleted due to the cessation of the grounds for processing all personal data contained in it or when the backup copy is no longer needed. Until this point the backup copy should only be stored without the possibility of using it except when it is to be used in accordance with the purpose for which it was created i.e.
due to the need to restore data during an application failure. Moreover it should not be forgotten that the creation and storage Phone Number List of a backup copy must meet certain requirements i.e. it should be properly secured in accordance with technical standards and its storage period should be clearly specified in industry regulations or internal policies. iSecure Signet iSecure is a consulting company whose activities are focused on issues related to personal data protection and information security including comprehensive implementation of the. ![]() GDPR preparation of action plans in enetration tests implementation of the ISO standard and legal services for companies operating on the Internet. iSecure experts also conduct training and are the authors of numerous publications and speeches. SIMILAR ENTRIES Maciej Łukaszewicz March The right to delete personal data – when can it be exercised The right to delete personal data is one of the most well known rights of data subjects under the GDPR. In theory the GDPR provides every natural person whose personal data is processed the right to have it deleted at any time. However like most regulations every law is subject to certain conditions. |
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