| Territorial scope for the EU subjects
(In role Controller in the EU)
(In role Processor in the EU)
|
| Territorial scope for the non-EU subjects
(In role Data subject in the Union)
|
| Personal data
(In role Data subject)
|
| Controller
(In role Controller)
|
| Processor
(In role Processor)
|
| Recipient
(In role Recipient)
|
| Third party
(In role Third party)
|
| Consent of a data subject
(In role Data subject)
|
| Performance of a contract
(In role Data subject)
|
| Compliance with a legal obligation
(In role Controller)
|
| To protect the vital interests of the data subject or of another natural person
(In role Data subject)
|
| Performance of a task carried out in the public interest
(In role Controller)
|
| Purposes of the legitimate interests pursued by the controller or by a third party
(In role Controller)
(In role Data subject)
(In role Third party)
|
| Transparency of the consent for personal data processing
(In role Data subject)
|
| Exclusions from the prohibition of processing the special categories of personal data
(In role Controller)
(In role Data subject)
(In role Employee)
(In role Natural person)
|
| Providing the information in terms of Articles 13 and 14
(In role Data subject)
|
| Exemptions from application the obligation of the controller to provide information in terms of the Article 14, paragraphs 1 – 4
(In role Controller)
(In role Data subject)
|
| Limitation of the negative implications in context of the other subjects' rights
(In role Controller)
(In role Data subject)
|
| Exemptions from the application of Article 17, paragraph 1 and 2
(In role Controller)
(In role Data subject)
|
| Processing the personal data after the right to restriction of processing has been applied
(In role Controller)
(In role Data subject)
(In role Natural person)
|
| Limitation of the right to obtain the personal data
(In role Controller)
(In role Data subject)
|
| Limitation of the negative implications relating to other subjects' rights
(In role Controller)
|
| Restrictions in application of the Article 22, paragraph 1
(In role Controller)
(In role Data subject)
|
| Decisions according to the Article 22, paragraph 2
(In role Data subject)
|
| Minimum scope of the individual provisions in terms of the Article 23, paragraph 1 of the regulation
(In role Controller)
(In role Processor)
|
| Legal instruments of the remedies against the controller or processor
(Delegated Representative of the Controller)
(Delegated Representative of the Processor)
|
| Minimal scope of the contract essentials between the Controller and Processor
(In role Controller)
(In role Data subject)
(In role Processor)
|
| Basic Standard contract clauses between the Controller and Processor
(In role Controller)
(In role Processor)
|
| Exemption from the obligations listed in the Article 30, paragraph 1 and 2
(In role Enterprise or an organisation employing fewer than 250 persons)
|
| Assessing the appropriate level of the security account
(In role Controller)
(In role Data subject)
(In role Processor)
|
| Notification method in context of the Article 34, paragraph 1 of the regulation
(In role Controller)
(In role Data subject)
|
| Processing that requires the obligatory DPIA
(In role Controller)
|
| Minimal content of the DPIA
(In role Controller)
|
| Assessing the impact of the processing performed by such controllers or processors
(In role Controller)
(In role Processor)
|
| Situations where the DPIA need not to be done
(In role Controller)
|
| Supervisory authority consultation relating to social policy and public health policy
(In role Controller)
|
| Monitoring the compliance of the codes of conduct
(In role Controller)
(In role Processor)
|
| Responsibility of the Controller and Processor relating to the certification process
(In role Controller)
(In role Processor)
|
| Validity of the certificate and it´s prolongation
(In role Controller)
(In role Processor)
|
| Accreditation conditions in relation to the certification subjects
(In role Controller)
(In role Data subject)
(In role Processor)
|
| Basic conditions for the personal data transfer
(In role Controller)
(In role Processor)
|
| Possibilities of setting the appropriate safeguards up
(In role Controller)
(In role Data subject)
(In role Processor)
|
| Priority forms and approaches of the appropriate safeguards based on the Article 46, paragraph 1
(In role Controller)
(In role Processor)
(In role Recipient)
|
| Minimal essential content of the binding corporate rules
(In role Controller)
(In role Data subject)
(In role Group of enterprises engaged in a joint economic activity)
(In role Group of undertakings)
(In role Personnel having permanent or regular access to personal data)
(In role Processor)
|
| Mutual legal assistance between the requesting third country and the Union or a Member State
(In role Controller)
(In role Processor)
|
| Conditions for the personal data transfer in case of an appropriate safeguards decision absence
(In role Controller)
(In role Data subject)
(In role Natural person)
(In role Processor)
|
| Specifications to the personal data transfer in context of the Article 49, paragraph 1
(In role Persons having a legitimate interest)
(In role Recipient)
|
| The lead supervisory authority in context of the cross-border processing
(In role Controller)
(In role Processor)
|
| Proceedings in case of the urgent situations
(In role Data subject)
|
| Access to documents of the Board
(In role Third party)
|
| The local competency of the judicial authorities for submitting the proceeding against the controller or processor
(In role Controller)
(In role Data subject)
(In role Processor)
|
| Circumstances that are excluding the responsibility of the controller or processor for the damage
(In role Controller)
(In role Processor)
|
| Special provisions on personal data processing in context of the group of undertakings
(In role Group of enterprises engaged in a joint economic activity)
(In role Group of undertakings)
|
| Restrictions in the exemptions based on the Article 89, paragraph 2 and 3
(In role Controller)
(In role Processor)
|