Full CIPP/E Exam Latest Update Already Passed
Full CIPP/E Exam Latest Update Already Passed Accountability The implementation of appropriate *technical and organisational measures* to ensure and be able to *demonstrate* that the handling of personal data is performed in accordance with relevant law, an idea codified in the EU General Data Protection Regulation and other frameworks, including APEC's Cross Border Privacy Rules. Traditionally has been a *fair information practices principle*, that due diligence and reasonable steps will be undertaken to ensure that personal information will be protected and handled consistently with relevant law and other fair use principles. Accuracy Organizations must take every *reasonable* step to ensure the data processed is this and, where *necessary*, kept up to date. Reasonable measures should be understood as implementing processes to prevent inaccuracies during the data collection process as well as during the ongoing data processing in relation to the specific use for which the data is processed. The organization must consider the type of data and the specific purposes to maintain the accuracy of personal data in relation to the purpose. Also embodies the responsibility to respond to data subject requests to correct records that contain incomplete information or misinformation. Adequate Level of Protection A transfer of personal data from the European Union to a third country or an international organisation may take place where the European Commission has decided that the third country, a territory or one or more specified sectors within that third country, or the international organisation in question, ensures this by taking into account the *following elements*: *(a)* the rule of law, respect for *human rights* and fundamental freedoms, both *general and sectoral legislation*, data protection rules, professional rules and security measures, effective and *enforceable data subject rights* and *effective administrative and judicial redress* for the data subjects whose personal data is being transferred; *(b)* the existence and *effective* functioning of independent *supervisory authorities* with responsibility for ensuring and enforcing compliance with the data protection rules; (c) the *international commitments* the third country or international organisation concerned has entered into in relation *to the protection of personal data*. Annual Reports The requirement under the GDPR that the European Data Protection Board and each supervisory authority *periodically report on their activities*. The supervisory authority report should include infringements and the activities that the authority conducted under their Article 58(2) powers. The EDPB report should include *guidelines, recommendations, best practices and binding decisions*. Additionally, the report should include the protection of natural persons with regard to processing in the EU and, where relevant, in third countries and international organisations. Shall be *made public and be transmitted to the European Parliament, to the Council and to the Commission*. Anonymous Information In contrast to personal data, this is not related to an identified or an identifiable natural person and *cannot be combined with other information to re-identify individuals*. It has been rendered unidentifiable and, as such, is not protected by the GDPR. Anti-discrimination Laws *indications of special classes* of personal *data*. If there exists law protecting against discrimination based on a class or status, it is likely personal information relating to that class or status is *subject to more stringent* data protection regulation, under the GDPR or otherwise. Appropriate Safeguards The GDPR refers to these in a number of contexts, *including* the *transfer* of personal data *to third countries* outside the European Union, the processing of *special categories* of data, *and* the processing of personal data in a *law enforcement* context. This generally refers to the application of the general data protection principles, in particular purpose limitation, data minimisation, limited storage periods, data quality, data protection by design and by default, legal basis for processing, processing of special categories of personal data, measures to ensure data security, and the requirements in respect of onward transfers to bodies not bound by the binding corporate rules. This *may* also *refer to* the use of *encryption or pseudonymization*, *standard* data protection *clause*s adopted by the Commission, contractual clauses authorized by a supervisory authority, or *certification schemes* or *codes of conduct* authorized by the Commission or a supervisory authority. Should ensure compliance with data protection requirements and the rights of the data subjects appropriate to processing within the European Union. Appropriate Technical and Organizational Measures The GDPR requires a *risk-based approach* to data protection, whereby organizations *take into account* the *nature*, *scope*, *context and purposes* of processing, as well as the risks of varying *likelihood* and *severity to* the *rights and freedoms* of natural persons, and institute policies, controls and certain technologies to mitigate those risks. These might help meet the obligation to keep personal data secure, including technical safeguards against accidents and negligence or deliberate and malevolent actions, or involve the implementation of data protection policies. These measures should be demonstrable on demand to data protectio
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