|
Post by account_disabled on Jan 6, 2024 7:36:34 GMT
This may be considered processing in connection with taking steps before concluding a contract, at the request of the data subject, in accordance with Art. section letter b GDPR. In certain situations, under national regulations, financial institutions are obliged to identify their clients. Therefore, before concluding a contract with a natural person, the bank is entitled to request that the data subject submit an identity document to it. Then, obtaining data is dictated by the need to fulfill a legal Email Marketing List obligation, and not by taking steps to conclude a contract at the consumers request. Therefore, in similar cases, the appropriate legal basis will not be Art. section letter b GDPR, but Art. section letter c GDPR. Activities unrelated to the main service Processing to improve the service IOD function. This communicates well An external team of experts is a proven, way to ensure modern data protection. ORDER AN OFFERService providers often collect detailed information about how users use their services. in most cases, collecting service-related metrics or details about user activity cannot be considered objectively necessary for the performance of the contract. in such circumstances, the service provider, who is also the controller, should use alternative processing grounds, such as legitimate interest or consent of the data subject.
|
|