AKI (Estonia) - 2.1.-1/21/129

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AKI - 2.1.-1/21/129
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Authority: AKI (Estonia)
Jurisdiction: Estonia
Relevant Law: Article 6 GDPR
Article 12 GDPR
Article 13 GDPR
Article 14 GDPR
Article 15 GDPR
Type: Complaint
Outcome: Upheld
Started:
Decided: 19.06.2022
Published: 19.06.2022
Fine: n/a
Parties: n/a
National Case Number/Name: 2.1.-1/21/129
European Case Law Identifier: EDPBI:EE:OSS:D:2022:319
Appeal: Not appealed
Original Language(s): English
Original Source: EDPB (in EN)
Initial Contributor: Alexander Smith

The lawful basis for transfer of debt data to a payment default register is the existence of a legitimate interest.

The controller shall respond to requests under Articles 15 to 22 GDPR within one month, unless an exemption or extension applies.


English Summary

Facts

The complainant learned that the defendant had included their information in a transfer and listing with ASNEF, regarding the generation of a debt €2,706.41.

The complainant requested information regarding the generation of the debt, and communication of the payment request. This was not provided.

The Data Protection Inspectorate (DPI) sent to enquiry to the defendant regarding: Lawful Basis for processing; If a transfer had been made to ASNEF, is so when and the lawful basis to do so; Are there documents relating to the complainant's debt. Have these been received by the defendant? Was the insolvency file's accuracy verified before transfer? Whether and how the complainant was informed of the transfer; Why had the defendant not replied to the complainant's questions.

The defendant argued that the lawful basis for this processing was Article 6(1)(b) GDPR, Contract. The defendant argued that the contractual terms it had with the claimant included provisions which stipulated that the defendant had a right to make such a transfer following an overdue payment or default. This was for the purposes of allowing the complainant the opportunity to monitor his/her debts and to give others the opportunity to process the complainant's data on the basis of legitimate interests in order to assess the complainant's credit worthiness.

The defendant also notes that the complainant was aware of the defendant's right to transfer when concluding the contract, as such a provision was within the contract.

Holding

The DPI does not agree that Contract is the correct lawful basis for the transfer, as it is not something the defendant must do to complete their contract. Instead the correct basis is Legitimate Interests (subject to a legitimate interests test).

The DPI finds that the defendant did not comply with Article 12(3) GDPR as the defendant did not reply to the complainant's request within one month, or provide reasons for not providing the requested information.

The DPI reminds the defendant of its obligation under Article 13 and 14 GDPR to inform the data subject in a concise, clear, comprehensible, and easily accessible form using clear and simple language. This information should also be provided in such form if requested in accordance with Article 15 to 22 and 34 GDPR.

Comment

This was a decision made under Article 60 GDPR. The complaint was referred from the Complainant's own member state to the Republic of Estonia's Data Protection Inspectorate. Per Article 60(7) GDPR this decision was notified to the EDPB.

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English Machine Translation of the Decision

The decision below is a machine translation of the English original. Please refer to the English original for more details.

                                        FOR DATA PRIVACY AND FREEDOM OF INFORMATION











Dear                                                   Your: 08/02/2021
Member of the Management Board
                                                       Our: 19/01/2022 No. 2.1.-1/21/129





Reprimand and notice of termination of the proceedings in a case concerning the
protection of personal data

Through the cross-border proceedings system IMI, the Estonian Data Protection Inspectorate
(the Inspectorate) received a complaint from                             pursuant to which he
learned on 02/09/2020 about the inclusion intoASNEF insolvency file of an alleged debt owed
to               amounting to 2.706,41 EUR. On 14/09/2020 the claimant contacted

    customer support, in order to request all the information regarding the generation of the
abovementioned debt, as well as the reliable communications of the payment request, without
receiving any answer to the whole of the raised questions. The claimant stated that he kept on
asking for the preventive cancellation of the debt inscription, but got no satisfactory reply.

Based on the above, we have initiated supervision proceedings on the basis of clause 56 (3) 8)
of the Personal Data ProtectionAct.


Throughout the supervision proceedings, we submitted an enquiry to                 in which we
asked the following:

    1. What is the legal basis (show the specific legal provision) for              processing
        thepersonal data ofthecomplainant? If theprocessing is necessary for theperformance

        of a contract to which the data subject is party, then they should send a copy of the
        contract concluded with the claimant.
    2. Has                 transferred the claimant’s data to the Asociación Nacional de
        Establecimientos Financieros de Crédito (ASNEF) and when? If they have, we asked
        them to indicate the legal basis and purpose of the transfer.
    3. Are there any documents proving the claimant’s debt? Has the complainant received the
        documents?

    4. Was the accuracy of the insolvency file verified before it was transferred to ASNEF?
    5. Whether and how was the complainant informed of the right to transfer data and the
        actual transfer of data. If the notice was given, we asked             to provide proof
        of notification.
    6. Why hasn’t               replied to the claimant’s questions? If they have answered, we
        asked              to send a copy of the answer to the inspectorate.


In their response to the enquiry of the Data Protection Inspectorate,                  said the
following:,                                         FOR DATA PRIVACY AND FREEDOM OF INFORMATION





          has transferred the complainant’s data to ASNEF payment default register as of
09.03.2020 and the legal basis for the transfer of data is the performance of the contract on the
basis of Article 6 (1) (b) of the GDPR (see also clause 13.11 of the Agreement):

13.1. Following a payment overdue or default under the Loan Agreement, the Lender shall have

a right, in each case pursuant to the applicable law, to notify the Borrower thereof and send the
following information to the chosen Payment Default Register:
1) given name and surname of the Borrower;
2) national identification number of the Borrower;
3) commencement and end date of the payment default;
4) the total amount of the payment default; and
5) data concerning the nature of the contractual relationship from which the arrears arise.


The Payment Default Register shall have the right to communicate the aforementioned data on
the basis of a contract entered into for an indefinite period to other credit providers and other
persons who have a legitimate interest concerning the creditworthiness of the persons entered
in the register and collect a charge therefor. The Payment Default Register shall have a right
to communicate the following data concerning the person who is an object of the inquiry to the
other persons with a legitimate interest:

1) commencement and end dates of the payment default;
2) the total amount of the payment default; and
3) the business sector from where the payment default arose.

The Borrower shall have the right to submit a claim to the Payment Default Register pursuant
to the procedure published on the webpage of the Payment Default Register and demand
deletion of a payment default entry from the Payment Default Register. The purpose of

processing the data mentioned herein is to allow the Borrower to monitor his/her payment
defaults and allow other persons with legitimate interest concerning the creditworthiness of the
Borrower to rely on the disclosed information upon making credit decisions with respect to the
Borrower.

The purposes of the processing are:

1) performance of the contract;
2) giving the complainant the opportunity to monitor his / her debts to            (in addition to
other notifications and the complainant’s portal account); and
3) giving others the opportunity to process the complainant’s data on the basis of a legitimate
interest in order to assess the complainant’s creditworthiness.

Please note that these purposes and grounds have also been assessed separately for

by the Spanish Supreme Court, which has confirmed the lawfulness of the processing of
customer data for such purposes and grounds.

Thecomplainantreceivedinformationabouthisdebtfromhisportalaccount,fromnotifications
sent by            and from notifications sent by the Spanish default register. According to
          the complainant has been aware of all these sources of information, i.e. he has visited
the portal account repeatedly, the notifications have been received (including opened) and the

data included the Spanish payment default register is also known to the complainant.,                                         FOR DATA PRIVACY AND FREEDOM OF INFORMATION





          verifies the accuracy of the debt data through a technical solution that notifies the
          system of the loan amount on the due date. Verifiability is ensured by checking the
payment deadline and the receipt of the loan repayment from              bank account.

The Appellant was at the earliest aware of the right to transfer data when concluding the

contract. This right arises from clause 13.1 of the contract.           repeatedly informed the
complainant by e-mail (ie 04.02.2020, 08.02.2020, 17.02.2020 and 02.03.2020) before sending
the defaults to the Spanish default register. In order to prove this, we also included a list of
outgoing notifications, the fourth box of which also shows that the complainant has also opened
these three notifications. In addition, the payment default register itself informed the
complainant of the publication of the payment default.


PursuanttoClause13.1ofthecontract,thecomplainanthasexercisedhisrighttocommunicate
with the Spanish default register in connection with the cancellation of the default himself. The
complainant has exercised this right twice.

The first notification of the complainant to the default register took place on 18.09.2020 (at that
time           was not aware of the out-of-court settlement of the default and we confirmed to
the default register on 23.09.2020 that the data had been duly disclosed).


          received the complainant’s letter by post on 06.10.2020. The second notification of
the Applicant to the payment default register took place on 29.10.2020. At that moment,
          also became aware of the out-of-court settlement and requested that the payment
         e deleted from the default register on 04.11.2020 (incl. Further notifications were
blocked).


We add that the deadline for replying to the complainant’s letter was 06.11.2020, but as the
situation related to the complainant was resolved through the payment default register (incl. it
was used as a communication channel), the complainant was not notified separately. The
complainant received the relevant information with the payment default register and the
situation was resolved.


On 10 February, the SpanishAgency for Data Protection replied that the claim had been settled
because the data of theAppellant had been removed from the payment default register pursuant
to an out-of-court settlement. The SpanishAgency for Data Protection added that theAppellant
had been informed of the possibility of being entered to the payment default register in the
contract and also before the payment default was entered.



POSITION OF THE DATA PROTECTION INSPECTORATE

1. Lawfulness of the processing of personal data

In its reply,              stated that it had transmitted the personal data of the Appellant to
ASNEF under Article 6 (1) (b) of the GDPR. The Data Protection Inspectorate does not agree
with this, as the transfer of the debt data of the Appellant to the payment default register is not

an act that              has to perform in order to fulfil its contract with the Appellant. The
legal basis for providing the debt data of the Appellant to a third party can be derived from
Article 6 (1) (f) oftheGDPR, i.e. a legitimateinterest. Relyingon this legal basis, the controller
is obliged to carry out a detailed assessment of the legitimate interest and to consider whether,                                        FOR DATA PRIVACY AND FREEDOM OF INFORMATION





or not the processing of the data is permissible in a particular case. If the assessment shows that
the processing of the data is not permissible, it must be stopped. Otherwise, the controller must
prove to the data subject that there are legitimate reasons to continue processing the data.



2. Release of personal data

On 14 September 2020, the Appellant sent a request to                   to issue to him all the
necessary documents regarding the debt, including the contract concluded between the
Appellant and                and documents regarding how the principal debt, interest, service
fees, etc. have arisen.                  received the letter of the Appellant by post on
6 October 2020. Aperson                ocuments or, for example, a citation of contract clauses,

goes beyond the scope of the GDPR. However, a person may request a copy of personal data
collected about them pursuant to Article 15 (1) and (3) of the GDPR, in which case it is not
prohibited for a copy of personal data to be issued as a copy of a document.An entry or extract
from a database that reflects, inter alia, the name of the person, the components of the claim
against them (principal, interest, recovery costs, etc.) constitutes personal data, and is thus the
scope of the GDPR.


In accordance with recital 59 of the GDPR, the controller should be obliged to respond to
requests from the data subject without undue delay and at the latest within one month and to
give reasons where the controller does not intend to comply with any such requests.
Article 12 (3) of the GDPR lays down the same deadline for replying to the request of the
Appellant. In its reply,               explained that since the deadline for replying to the
Appellant was 6 October 2020 but before that, the Appellant had entered into an out-of-court
settlement, of which               became aware on 29 October 2020, the debt claims against

theAppellant were deleted from the payment default register on 4 November 2020. In addition,
the request of the Appellant for the release of his debt data was settled through the payment
default register. As the payment defaults had been cleared before the deadline for replying to
the Appellant and the Appellant had received information of interest to him through ASNEF,
          did not consider it necessary to provide the Appellant with documents and other
information relating to his debt.


The Data Protection Inspectorate finds that the conduct of             was not lawful because,
pursuant to Article 12 (3) of the GDPR,            was obliged to reply to the Appellant within
one month or to provide reasons for not providing theAppellant with the requested documents
and/orinformation (see GDPR recital 59,Article 12 (4)), even ifthe claim oftheAppellant falls
outside the scope of the GDPR. Therefore,            should have provided theAppellant with a
copy of the personal data he had requested (if theAppellant had requested it) or explained in its

reply why this was not done or if theAppellant had requested specific documents,
should have justified why it was not possible to submit the documents on the basis ofArticle 15
of the GDPR.

I would like to explain that it is obligation of the controller to make sure that data is being
processed in compliance with the GDPR. However,                        disregarded the explicit
request of theAppellant to provide him with documents relating to his debt and did not explain

to the Appellant why it could not do so. In view of the above,                      violated the
requirements set out in the GDPR. However, based on the fact that the Appellant received the
information requested by him through the payment default register and his debt details have
been deleted from the payment default register as a result of an out-of-court settlement,,                                         FOR DATA PRIVACY AND FREEDOM OF INFORMATION





I reprimand                 underArticle 58 (2) (b) of the GDPR and draw attention to the
following:

    1. The legal basis for the transmission of debt data to a payment default register is the
        existence of a legitimate interest (Article 6 (1) (f) of the GDPR).


                     is obliged to carry out a detailed assessment of the legitimate interest and
        to consider whether or not the processing of the data is permissible in every particular
        case. If the assessment shows that the processing of the data is not permissible, it must
        be stopped. Otherwise, the controller must prove to the data subject that there are
        legitimate reasons to continue processing the data.


    2. The controller shall take appropriate measures to provide the data subject with the
        information referred to in Articles 13 and 14 and to inform them of the processing of
        personal data in accordance with Articles 15 to 22 and 34 in a concise, clear,
        comprehensible, and easily accessible form using clear and simple language. This
        information is provided in writing or by other means, including, where appropriate,
        electronically. If the data subject so requests, the information may be provided orally,
        provided that the identity of the data subject is established by other means

        (Article 12 (1) of the GDPR).

    3. The controller has the obligation to submit a copy of the personal data concerning the
        data subject at the request of the data subject (Article 15 (3) of the GDPR).

        If the data subject wants personal data about themselves,                       must do
        everything in its power to ensure that all personal data is released. If personal data are

        not released, it must be made very clear which type of data and for what reason cannot
        be released.

    4. The controller provides information on action taken on a request underArticles 15 to 22
        of the GDPR to the data subject without undue delay and in any event within one month
        of receipt of the request. This period may be extended by two months, if necessary,

        taking into account the complexity and volume of the request. The controller informs
        the data subject of any such extension within one month of receipt of the request,
        together with the reasons for the delay (Article 12 (3) of the GDPR).

        Thus, if a person requests a copy of personal data concerning them, the copy must be
        provided within one month or, if justified, the deadline for replying may be extended
        within that month. In accordance with theGDPR, themaximum legal term forproviding

        data can be three months.

    5. If the controller does not take action on the request of the data subject, the controller
        shall inform the data subject without delay and at the latest within one month of receipt
        of the request of the reasons for not taking action and on the possibility of lodging a
        complaint with a supervisory authority and seeking a judicial remedy (Article 12 (4) of
        the GDPR).


        Thus, if             considers that it has reasonable grounds for not releasing data, this
        must be justified to the data subject within one month.,                                         FOR DATA PRIVACY AND FREEDOM OF INFORMATION





In view of the above and the fact that the Appellant,                                received the

informationconcerninghimthroughthepaymentdefaultregisterASNEF, Iwillterminate
the supervision proceedings.

I further note that in a situation where the improper practice of processing personal data in this

way continues, the Data Protection Inspectorate has the right to issue a precept to
(and, if necessary, impose a penalty payment) or hold the controller liable in a misdemeanour.
A legal person may be fined up to 20,000,000 euros or up to 4% of its total annual worldwide
turnover for the previous financial year, whichever is greater.


This administrative act can be disputed within 30 days by:
- submitting a challenge to the Director General of the Data Protection Inspectorate pursuant to
theAdministrative ProcedureAct or  1

- filing a 2etition with an administrative court pursuant to the Code of Administrative Court
Procedure (in this case, anychallenges submitted in the same case can no longer be processed).



Respectfully


/signed digitally/


Lawyer
Authorised by the Director General































1https://www.riigiteataja.ee/en/eli/527032019002/consolide
2https://www.riigiteataja.ee/en/eli/512122019007/consolide