Some data breaches are not noticed by organisations or not reported to us, and for individual persons it is often not at all clear how their personal data is used or traded. Amazon Ignite Sell your original Digital Educational Resources.
Customers who bought this item also bought. Besides, the amount of reported data breaches and complaints might be only the tip of the iceberg. Login now. As far as the illegal trade of illegally collected data concerns, the ultimate goal is to ban this entirely.
Mar 10, · Interview with Cecile Schut – Dutch DPA “To hold grip on your personal data and knowing what others know about you is crucial” – Aleid Wolfsen. The Dutch DPA is the independent supervisor in the Netherlands that guards our constitutionally enshrined protection of personal data.
- Deals and Shenanigans.
- To achieve this goal, data brokering needs to develop in a specific way.
- Cobb, Jr.
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10/01/2018 · Cecile Schut is directeur Systeemtoezicht, Beveiliging en Technologie. Voorheen werkte zij in verschillende functies bij het Centraal Bureau voor de Statistiek. Zij was daar onder meer verantwoordelijk voor de nationale en internationale beleidsvoorbereiding en strategiebepaling, corporate juridische zaken en de coördinatie van kwaliteitszorg ...
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Also, the data broker needs to ensure that the data is accurate and up to date. Another thing a data broker needs to think of is defining retention periods and ensuring proper security. In certain circumstances it also will be necessary to perform a Data Protection Impact Assessment and designate a Data Protection Officer. If a data broker is able to comply with all the rules of the GDPR and continues to promote a culture of data minimalization, transparency and accountability, it should be possible for them to continue their work.
What is the definition of a data broker? When does an organsation meet the requirements to be appointed as a data broker? Are amongst these organsations also for example organsations that use payment platforms, collect information and sell this to other parties? It is not our task to come up with a definition of a data broker. In our view, the core business of data brokers is to make use of personal data as a key ingredient for products and services that can be sold to other parties.
The possibilities are endless in theory. A well-known type of data broker is for instance a company that collects and combines on — and offline personal data to be able to create a profile of a person and sell this profile to companies.
Those who reveal all their data on the internet and thereby reveal themselves as human beings to data brokers will sooner or later become objects of exploitation and manipulation.
The government, in a way, facilitates the way of working for data brokers. I understand the concern that the growing amount of personal data, especially when data is combined and exploited from different sources over a long period of time, can lead to manipulation. This may threaten our personal freedom. Our task is to ensure that these practices are executed in a manner that is compliant with the GDPR.
The principles of the GDPR state that personal data must be processed lawfully, fairly and transparently in relation to the natural person to whom the data relates. Revealing information about oneself, whether it is on the internet or whether it is in real life, does not mean that this information is free to be collected by companies for other goals.
In some cases the data comes into the hands of criminal organisations, who use the data for instance for identity fraud or phishing. What bottlenecks does the Dutch DPA face during investigating and monitoring illegal data trafficking? How do you deal with this? Currently, the main challenge that the Dutch DPA has to cope with is the budget. At this moment the budget of the Dutch DPA is not sufficient for the amount of work the Dutch DPA has to execute.
We are only able to follow up a small amount of all complaints we receive from citizens. And the same goes for the data breaches that are reported to us. In , we were only able to investigate and close 0,3 percent of about Besides, the amount of reported data breaches and complaints might be only the tip of the iceberg. Some data breaches are not noticed by organisations or not reported to us, and for individual persons it is often not at all clear how their personal data is used or traded.
This does not mean that we are powerless. In the last year, we have shown that despite our lack of resources, we were able to achieve great strides in the protection and promotion of personal data. We assisted and provided advice for the controversial corona-app, warned about the deficiencies in the system of the Municipal Health Services GGDs , and investigated and confirmed cases of discrimination in the recent benefits affaire at the Dutch tax department.
The Dutch DPA works with supervisors of all EU countries together in the European Data Protection Board. What can the Dutch DPA learn from the other countries in terms of the supervision on data brokering? Or do you feel that the other countries can learn from the Dutch DPA?
If so, can you give an example? All supervisory authorities strive to a harmonised application of the GDPR. Therefore, there is an active cooperation between the supervisory authorities. If necessary, specific cases are discussed. Together, an approach is determined. Unfortunately, the Dutch DPA is not the only one who is understaffed. For the coming years it is key that we can develop our cooperation and grow in capacity as joint European guardians of data protection.
What is the ultimate goal for the Dutch DPA regarding data trafficking? Are there also positive sides to data trafficking. For example, can we learn something from data trafficking? As mentioned in our Focus , our goal is to ensure that citizens have control over their own personal data. To achieve this goal, data brokering needs to develop in a specific way. This means that data brokers need to be fully compliant with the GDPR and citizens need to know what rights they have and how to exercise those rights.
Therefore, transparency is a key issue: individuals have to be able to gain back control on their own personal data.
Cécile Schutz Profiles Facebook
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Bekijk het profiel van Cecile Schut op LinkedIn, de grootste professionele community ter wereld. Cecile heeft 3 functies op zijn of haar profiel. Bekijk het volledige profiel op LinkedIn om de connecties van Cecile en vacatures bij vergelijkbare bedrijven te milfr.cloudon: Nederland. View the profiles of people named Cecile Schut. Join Facebook to connect with Cecile Schut and others you may know. Facebook gives people the power to. Cecile is per 1 november het team van Schut van de Ven komen versterken, nadat zij ruim tien jaar werkzaam is geweest bij Allen & Overy LLP. Cecile heeft ruime ervaring op het gebied van ondernemingsrecht met een focus op private equity, (corporate) herstructureringen, fusies & overnames en joint ventures.
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