APDCAT (Catalonia) - PD 6/2021: Difference between revisions
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The Catalan DPA issued an opinion on the transposing law for the Directive (EU) 2019/1153, emphasizing, among others, the importance of adequate measures to guarantee the security of the data, the necessity principle and the data minimization principle. | The Catalan DPA issued an opinion on the transposing law for the Directive (EU) 2019/1153, emphasizing, among others, the importance of implementing adequate measures to guarantee the security of the data, the necessity principle, and the data minimization principle. | ||
== English Summary == | == English Summary == | ||
=== Facts === | === Facts === | ||
The Catalan DPA issued an opinion at the request of the Ministry of the Interior in order to evaluate | The Catalan DPA issued an opinion at the request of the Ministry of the Interior in order to evaluate the Law proposal that will transpose the Directive (EU) 2019/1153, laying down rules facilitating the use of financial and other information for the prevention, detection, investigation or prosecution of certain criminal offences. | ||
=== Holding === | === Holding === | ||
In the general issues | In the about general issues, the DPA pointed out that the law proposal does not clearly state which personal data of the financial ownership file will be accessible for the competent authorities as well as which data will be excluded, and that some necessary definitions are missing. | ||
In the | In the next sections, it is pointed out that Article 7(1) does not concur with the principle of data minimization, so a new redaction is proposed. | ||
It is also mentioned that a remark regarding that the sharing of information shall be carried out with the implementation of the necessary technical and organizational measures to guarantee the security of the data needs to be added for every article. | |||
With | With regards to the data protection section, the DPA laid down an amendment changing the sentence “when necessary” for “when indispensable”, in order to strengthen the exceptionality for the processing of special categories of personal data. | ||
Another amendment remarking the individualization and the technical training of the people who will process the data is lastly suggested. | |||
== Comment == | == Comment == |
Latest revision as of 08:59, 18 August 2021
APDCAT (Catalonia) - PD 6/2021 | |
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Authority: | APDCAT (Catalonia) |
Jurisdiction: | Spain |
Relevant Law: | Directive (EU) 2019/1153 Directive (EU) 2015/849 LO 7/2021 Ley 10/2010 |
Type: | Advisory Opinion |
Outcome: | n/a |
Started: | |
Decided: | 22.07.2021 |
Published: | 22.07.2021 |
Fine: | None |
Parties: | n/a |
National Case Number/Name: | PD 6/2021 |
European Case Law Identifier: | n/a |
Appeal: | n/a |
Original Language(s): | Catalan |
Original Source: | APDCAT (in CA) |
Initial Contributor: | Mohamed Siddibeh Kurubally |
The Catalan DPA issued an opinion on the transposing law for the Directive (EU) 2019/1153, emphasizing, among others, the importance of implementing adequate measures to guarantee the security of the data, the necessity principle, and the data minimization principle.
English Summary
Facts
The Catalan DPA issued an opinion at the request of the Ministry of the Interior in order to evaluate the Law proposal that will transpose the Directive (EU) 2019/1153, laying down rules facilitating the use of financial and other information for the prevention, detection, investigation or prosecution of certain criminal offences.
Holding
In the about general issues, the DPA pointed out that the law proposal does not clearly state which personal data of the financial ownership file will be accessible for the competent authorities as well as which data will be excluded, and that some necessary definitions are missing.
In the next sections, it is pointed out that Article 7(1) does not concur with the principle of data minimization, so a new redaction is proposed.
It is also mentioned that a remark regarding that the sharing of information shall be carried out with the implementation of the necessary technical and organizational measures to guarantee the security of the data needs to be added for every article.
With regards to the data protection section, the DPA laid down an amendment changing the sentence “when necessary” for “when indispensable”, in order to strengthen the exceptionality for the processing of special categories of personal data.
Another amendment remarking the individualization and the technical training of the people who will process the data is lastly suggested.
Comment
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English Machine Translation of the Decision
The decision below is a machine translation of the Catalan, Valencian original. Please refer to the Catalan, Valencian original for more details.
PD 6/2021 22/07/2021 Report on dispositions SECTORAL AREACriminal court Download PD 6/2021 [307.24 kB]