We recommend abandoning general

GDPR should be implementd in relation to persons from whom personal data was obtaind directly. It should be rememberd that when we collect personal data to verify the contractor (directly from him), information about it should be providd to him and there are no doubts about it. However, the problem arises in connection with the ned to fulfill the information obligation under Art.

Behavior during its performance

Towards entrepreneurs, whose personal data was obtaind from publicly available sources – somehow without the knowldge of these phone number list persons. Bearing in mind the requirement to fulfill the information obligation towards verifid contractors and potential contractors, entrepreneurs should probably be aware of the business risk that may arise after providing contractors with information about the processing of their personal data in connection with the above-mentiond purposes.

phone number list

Indicate directly the specific required

An increase in the number of objections to such. Data processing or other negative consequences that may. Materialize after providing Country List this type of information can be foreseen. which may arise after providing contractors. With information about the processing of their personal data in connection with the above-mentiond purposes. An increase in the number of objections to such. Dta processing or other negative consequences that may materialize after providing this type of information can be foreseen.

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