The ned to update the register of data processing activities – in the context of PPK, new processing activities will appear, and therefore we must record them in the RCP, the ned to implement mechanisms relatd to compliance with data retention periods providd for data nedd for PPK purposes (destruction of documents, anonymization of data in ICT systems), carrying out a risk assessment for data processing, and if it turns out that the risk is high – reaching for theWhat might an exemplary information obligation look like in relation to with PPK.

Workers processing personal data

Below is an example: The employ nforms that it is the administrator of personal data processd in connection with the employee database capital plans program (PPK). Contact with the administrator is possible Contact with the Data Protection Officer appoin In addition to the processing of employees’ personal data for employment-relatd purposes, of which the employee was separately informd, XYZ for the purposes of implementing the PPK program processes personal.


Personal data from covering all employees

Data in order to perform the obligations referrd to in the Act on Employee Capital Plans, and therefore pursuant to Bold Data of Regulation (EU) 2016/679 of the European Parliament and of the Council of 27 April 2016 on the protection of individuals with regard to the processing of personal data and on the free movement of such data, and repealing Directive 95/46/EC (hereinafter referrd to as “GDPR” ) in connection with the provisions of the above of the act.

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