Norway SAs list of the kind of processing operations which are subject to the requirement for a Data Protection Impact Assessment under Article 35(4) of the General Data Protection Regulation (EU) 2016/679 (GDPR) |
SA |
Norway |
16 March 2019 |
Data Protection Impact Assessment (DPIA), Opinions of the EDPB |
|
Opinion 2/2019 on the draft list of the competent supervisory authority of Norway regarding the processing operations subject to the requirement of a data protection impact assessment (Article 35.4 GDPR) |
Estonia SAs list of the kind of processing operations which are subject to the requirement for a Data Protection Impact Assessment under Article 35(4) of the General Data Protection Regulation (EU) 2016/679 (GDPR) |
SA |
Estonia |
19 March 2019 |
Data Protection Impact Assessment (DPIA), Opinions of the EDPB |
|
Opinion 6/2018 on the draft list of the competent supervisory authority of Estonia regarding the processing operations subject to the requirement of a data protection impact assessment (Article 35.4 GDPR) |
Bulgaria Authorisation for the use of an Administrative Arrangement between EEA and non-EEA Financial Supervisory Authorities |
SA |
Bulgaria |
25 March 2019 |
Opinions of the EDPB, Transfers of Data |
|
Opinion 4/2019 on the draft AA between EEA and non-EEA Financial Supervisory Authorities |
German Authorisation for the use of an Administrative Arrangement between EEA and non-EEA Financial Supervisory Authorities |
SA |
Germany |
24 April 2019 |
Opinions of the EDPB, Transfers of Data |
|
Opinion 4/2019 on the draft AA between EEA and non-EEA Financial Supervisory Authorities |
Poland SAs list of the kind of processing operations which are subject to the requirement for a Data Protection Impact Assessment under Article 35(4) of the General Data Protection Regulation (EU) 2016/679 (GDPR) |
SA |
Poland |
26 July 2019 |
Data Protection Impact Assessment (DPIA), Opinions of the EDPB |
|
Opinion 17/2018 on the draft list of the competent supervisory authority of Poland regarding the processing operations subject to the requirement of a data protection impact assessment (Article 35.4 GDPR) |
Croatia SAs list of the kind of processing operations which are subject to the requirement for a Data Protection Impact Assessment under Article 35(4) of the General Data Protection Regulation (EU) 2016/679 (GDPR) |
SA |
Croatia |
26 July 2019 |
Data Protection Impact Assessment (DPIA), Opinions of the EDPB |
|
Opinion 25/2018 on the draft list of the competent supervisory authority of Croatia regarding the processing operations subject to the requirement of a data protection impact assessment (Article 35.4 GDPR) |
Malta Authorisation for the use of an Administrative Arrangement between EEA and non-EEA Financial Supervisory Authorities |
SA |
Malta |
13 August 2019 |
Opinions of the EDPB, Transfers of Data |
|
Opinion 4/2019 on the draft AA between EEA and non-EEA Financial Supervisory Authorities |
Iceland Authorisation for the use of an Administrative Arrangement between EEA and non-EEA Financial Supervisory Authorities |
SA |
Iceland |
16 August 2019 |
Opinions of the EDPB, Transfers of Data |
|
Opinion 4/2019 on the draft AA between EEA and non-EEA Financial Supervisory Authorities |
Iceland SAs list of the kind of processing operations which are subject to the requirement for a Data Protection Impact Assessment under Article 35(4) of the General Data Protection Regulation (EU) 2016/679 (GDPR) |
SA |
Iceland |
29 August 2019 |
Data Protection Impact Assessment (DPIA), Opinions of the EDPB |
|
Opinion 7/2019 on the draft list of the competent supervisory authority of Iceland regarding the processing operations subject to the requirement of a data protection impact assessment (Article 35.4 GDPR) |
AT SA's decision on the accreditation requirements for a code of conduct monitoring body |
SA |
Austria |
30 August 2019 |
Code of conduct, Opinions of the EDPB |
|
Opinion 9/2019 on the Austrian data protection supervisory authority draft accreditation requirements for a code of conduct monitoring body pursuant to article 41 GDPR |