• Courses
      • Global Series of National Privacy Laws
      • Netherlands Privacy Academy (in Dutch)
      • Caribbean Privacy Academy (in Dutch)
    • Resources
    • Join GADPPRO ACADEMY
      • Join GADPPRO Academy as an Official Partner
      • Become an Official GADPPRO Training Entity
      • Join the GADPPRO Business Academy
      • Secretariat & International Training Centre
      • Contact Us
    •  
      • RegisterLog in
    Privacad GADPPRO Academy
      • Courses
        • Global Series of National Privacy Laws
        • Netherlands Privacy Academy (in Dutch)
        • Caribbean Privacy Academy (in Dutch)
      • Resources
      • Join GADPPRO ACADEMY
        • Join GADPPRO Academy as an Official Partner
        • Become an Official GADPPRO Training Entity
        • Join the GADPPRO Business Academy
        • Secretariat & International Training Centre
        • Contact Us
      •  
        • RegisterLog in

      Blog

      Privacy Competence of the lead supervisory authority

      • Categories Blog, Business, Design / Branding, Free Data Protection Resources
      • Date September 3, 2020

      GDPR Recital 127 Competence of the lead supervisory authority

      Each supervisory authority not acting as the lead supervisory authority should be competent to handle local cases where the controller or processor is established in more than one Member State, but the subject matter of the specific processing concerns only processing carried out in a single Member State and involves only data subjects in that single Member State, for example, where the subject matter concerns the processing of employees’ personal data in the specific employment context of a Member State. In such cases, the supervisory authority should inform the lead supervisory authority without delay about the matter. After being informed, the lead supervisory authority should decide, whether it will handle the case pursuant to the provision on cooperation between the lead supervisory authority and other supervisory authorities concerned (‘one-stop-shop mechanism’), or whether the supervisory authority which informed it should handle the case at local level. When deciding whether it will handle the case, the lead supervisory authority should take into account whether there is an establishment of the controller or processor in the Member State of the supervisory authority which informed it in order to ensure effective enforcement of a decision vis-à-vis the controller or processor. Where the lead supervisory authority decides to handle the case, the supervisory authority which informed it should have the possibility to submit a draft for a decision, of which the lead supervisory authority should take utmost account when preparing its draft decision in that one-stop-shop mechanism. 

      • Share:
      author avatar
      Richard V

      Previous post

      Privacy Compliance with decision notified by the lead supervisor
      September 3, 2020

      Next post

      Privacy One-stop-shop mechanism not for public authorities
      September 3, 2020

      You may also like

      Guidelines 9/2020 on relevant and reasoned objection under Regulation 2016/679
      29 November, 2020

      Guidelines 9/2020 on relevant and reasoned objection under Regulation 2016/679 Paragraph 3.2.3  Risks to free flow of personal data within the Union 44. Where the objection will refer to this particular risk, the CSA will need to clarify why it …

      Guidelines 9/2020 on relevant and reasoned objection under Regulation 2016/679
      29 November, 2020

      Guidelines 9/2020 on relevant and reasoned objection under Regulation 2016/679 Paragraph 3.2.2  Risks to fundamental rights and freedoms of data subjects 39. The issue at stake concerns the impact the draft decision as a whole would have on the data …

      Guidelines 9/2020 on relevant and reasoned objection under Regulation 2016/679
      29 November, 2020

      Guidelines 9/2020 on relevant and reasoned objection under Regulation 2016/679 Paragraph 3.2.1  Meaning of “significance of the risks” 35. It is important to bear in mind that the goal of the work carried out by SAs is that of protecting …

      Search

      Categories

      • Blog
      • Business
      • Design / Branding
      • Free Data Protection Resources
      • Nederlandse Privacy Academie
      • Uncategorized
      Facebook-f Linkedin-in

      © Privacad 2020

      For all your questions about courses

      students@privacad.com

      For all your questions about Privacad for business

      info@privacad.com

      Links

      • Courses
      • Become a GADPPRO Academy Official Training Entity
      • Resources
      • Free Data Protection Resources
      • Blog
      • Profile
      • Students Stewards Network (SSN)

      Support

      • Privacy Policy
      • Terms of Use
      • FAQs
      • Contact

      © GADPPRO Academy | Privacad 2022

      GADPPRO Academy 2022

      Login with your site account

      Lost your password?

      Not a member yet? Register now

      Register a new account

      Are you a member? Login now