| Subject-matter |
| Aim of the regulation |
| Positive definition of the material scope |
| Negative definition of the material scope |
| Personal data |
| Processing |
| Restriction of processing |
| Profiling |
| Pseudonymization |
| Filling system |
| Controller |
| Processor |
| Recipient |
| Third party |
| Consent |
| Personal data breach |
| Genetic data |
| Biometric data |
| Data concerning health |
| Main establishment |
| Representative |
| Enterprise |
| Group of undertakings |
| Binding corporate rules |
| Supervisory authority |
| Supervisory authority concerned |
| Cross-border processing |
| Relevant and reasoned objection |
| Information society service |
| International organization |
| Transparent certification process |
| Setting up the appropriate safeguards referred to Article 46, paragraph 1 of the regulation |
| Priority forms and approaches to setting up the appropriate safeguards referred to Article 46, paragraph 1 of the regulation |
| Access to documents submitted to members of the Board |
| Court proceedings for exercising the right to receive compensation |
| Application of the sanction mechanism when no administrative fines are imposed |
| Date of the Directive 95/46/EC repeal |
| Special provisions to the Directive 95/46/EC references |
| Relationship with Directive 2002/58/EC |
| Relationship with previously concluded Agreements |
| Entry into force of this regulation |
| Application of this regulation |