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CNIL Publishes Six Step Methodology and Tools to Prepare for GDPR

Hunton Privacy

This person will internally carry out informational, advisory and control tasks. The CNIL strongly recommends appointing a DPO (with internal relays) who will be in charge of ensuring GDPR compliance, even if the organization is not required to appoint a DPO under the GDPR. verifying the data security measures implemented.

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The Strategic, the Tactical, and Agile Records Management

Brandeis Records Manager

My response is internal laughter, and tears. I’ve lived through several such examples. Goals over objectives over actions is a necessary exercise for anyone serious about developing a program-level endeavor. We might substitute “agile” for “tactical” to illustrate with a few examples. Agile Records Management.

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The Burden of Privacy In Discovery

Data Matters

The 2015 amendments to Rule 26(b)(1), however, were meant to resolve any doubt, returning the proportionality factors to their original place as part of the very definition of what is discoverable. The principle of proportionality in civil discovery is hardly new.4 5 In keeping with that aim, the scope of discovery has always been cabined.

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