Professional Documents
Culture Documents
Alexia Maas
SVP - General Counsel, Volvo Financial Services
Beth Sipula
Sr. Privacy Consultant, TrustArc
A. Yes
B. No
4%
Processing likely to
result in high risk
DPIA Required
Article 35(1)
Systematic description of the processing
Assessment of necessity and
proportionality
Assessment of the risks to the rights and
No freedoms of data subjects
Measures to address the risks
No
A. Less than 10
B. 11 - 50
C. 51-100
D. 100+
E. I have no idea
One size does not fit all. Organizations should develop and follow a
process that makes sense for their size, type of processing, and
resources
PIAs/DPIAs need to be conducted according to a documented process
to ensure consistency
Documentation to demonstrate accountability is also critical (on
demand)
Communicate
expectations
Embed in Provide
established general &
training contextual
cycles training
Recommendations
www.trustarc.com/resources
Contacts
www.trustarc.com/insightseries
Thank You!
Register for the next webinar in our Series October 11th