Did you know that your EU representative cannot be one of your processors?


In the context of Brexit, the ICO has provided six specific steps in order to assist UK-based companies maintain their GDPR compliance status. This guidance goes beyond the text of the Guidelines 3/2018 on the territorial scope of the GDPR, not only emphasising the incompatibility between the functions of the EU Representative and the DPO but also the fact that the role of the EU Representative cannot be performed by a company's processor. To read more: click here