This is one of noyb 101 complaints which were filed after the "Schrems II" judgement in Summer 2020. The judgement invalidated the EU-US data transfer mechanism "Privacy Shield". The cases were generated based on implemented Google Analytics or Facebook tracking code on websites by EU providers, which leads to unlawful data transfers to the United States.
Datum | Summary |
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21.07.2023 | noyb called the DPC and requested a status update |
14.06.2022 | Update by DPC "Though engagement with the website owner (UCD) it has been determined that upon implementation of the Google Analytics tool the IP address anonymisation was not enabled and this was the position at the time of the complaint in August 2020. However, it was enabled on 01 October 2020 and remains so. The website owner confirms that at the time of the complaint the use of Google Analytics was governed by Google Ads Data Processing Terms dated August 2020 which includes SCC's entered into by the website owner as data exporter. The DPC has undertaken an examination of the website owners role in ensuring that the necessary supplementary measures were in place through its use of the Google Analytics tool, with respect to the transfer of personal data, and the DPC expects to finalise its determination of this complaint in the coming weeks. " |
20.05.2022 | DPC informed us that there has been a change of case manager DPC informed us that there has been a change of case manager and that the complaints continue to be under investgation. |
21.02.2022 | DPC again informed us that the complaint continues to be under investigation DPC notified us again that our complaints continue to be under investgation. |
18.02.2022 | noyb asked the DPC for an Update |
19.10.2021 | DPC again informed us that the complaint continues to be under investigation DPC notified us that our complaints C-029-58/59 and 60 continue to be under examination. |
08.06.2021 | DPC again informed us that the complaint continues to be under investigation DPC notified us that our complaints C-029-58, 59 and 60 continue to be under examination and that the DPC continues to engage with the data controllers. |
26.02.2021 | DPC informed us that the complaint continues to be under investigation DPC informed us that the complaints C-29-58, 59 and 60 continue to be under examination and that they have requested more information from the controller. |
25.11.2020 | DPC said that they will give us an update within three months DPC said that they will give us an update within three months of the date in which the complaints were received, and every three months after. |
13.11.2020 | DPC replied that they consider themselves to be the competent SA DPC replied that they consider themselves to be the competent SA, and that they will keep us informed if there is another LSA. . |
05.11.2020 | DPC promised to get back at the earliest opportunity |
29.10.2020 | noyb sent followup email to the DPC noyb sent follow-up e-mail to the DPC. |
04.09.2020 | noyb submited the attachments to the complaint via email noyb submited the attachments to the complaint via email. DPC acknowledged receipt on the same day, but asked for a PDF of the HAR file. |
28.08.2020 | DPC sent another letter DPC sent another letter, stating that the controller has been furnished with a copy of the complaint and a number of questions have been put to the controller. |
26.08.2020 | DPC sent a letter stating that the complaint will be handled DPC sent a letter stating that the complaint will be handled. Also the DPC again mentioned the broken link. |
19.08.2020 | DPC confirmed receipt DPC confirmed receipt and mentioned a link to the documents not working. |
17.08.2020 | Complaint |