Tietosuojavaltuutetun toimisto (Finland) - 3818/161/2020: Difference between revisions
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Latest revision as of 13:05, 3 March 2024
Tietosuojavaltuutetun toimisto - 3818/161/2020 | |
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Authority: | Tietosuojavaltuutetun toimisto (Finland) |
Jurisdiction: | Finland |
Relevant Law: | Article 5(1)(a) GDPR Article 12(1) GDPR Article 13(1)(d) GDPR Article 13(2)(b) GDPR |
Type: | Investigation |
Outcome: | Violation Found |
Started: | |
Decided: | |
Published: | |
Fine: | 100000 EUR |
Parties: | n/a |
National Case Number/Name: | 3818/161/2020 |
European Case Law Identifier: | n/a |
Appeal: | Unknown |
Original Language(s): | Finnish |
Original Source: | Tietosuojavaltuutetun Toimisto (in FI) |
Initial Contributor: | n/a |
Finnish DPA holds that Posti was not transparent in accordance with Article 5 GDPR as data subjects were not informed about their right to object to direct marketing. Posti was fined €100,000 for transparency violations.
English Summary
Facts
Finnish DPA received multiple complaints regarding Posti’s (the national postal company) change-of-address notifications data processing activities. Several data subjects received direct marketing communications from different companies after submitting a change-of-address notification to the controller. Data subjects were not informed of their right to object to the marketing when submitting a change-of-address notification.
Dispute
There were two legal questions: 1) Whether the processing of personal data in connection with change-of-address notification was transparent and in accordance with Article 5(1)(a) and Article 12(1) GDPR. 2) Whether the controller has provided the data subject with adequate information under Article 13(1)(d) and 2(b) GDPR in connection with the change-of-address notifications.
Holding
As per Article 13 GDPR, the controller must provide information to the data subject at the time of data processing. This Article applies to online forms that the data subject fills in when submitting a change-of-address notification. As per subsection 1 (d), the data subject must be informed of all recipients that may receive the data and consequently, the data subject must also be informed of their right to object for this type of processing.
The Finnish DPA held that the controller had not been transparent in accordance with Article 5(1)(a) and 12(1) GDPR, and that the information regarding the data recipients and the data subjects’ right to object was not provided to all data subjects in a timely manner at the point of data collection.
Comment
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English Machine Translation of the Decision
The decision below is a machine translation of the Finnish original. Please refer to the Finnish original for more details.