C037-208 Twitter International Company, Twitter, Inc.

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Case project
Controller
Twitter International Company, Twitter, Inc.
Case status
Pending (2 - 3 years)
Filed: (2 years 11 months ago)

One of our series of complaints on cookie banners.

Protocol
Ημερομηνία Summary
19.04.2023
Letter to DPC about scope

Pointing out to the DPC that they should investigate in full and take into account the legal provisions mentioned in the complaints.

19.04.2023
Receipt by DPC
14.03.2023
DPC Letter to noyb
17.02.2023
noyb letter to DPC for Clarification

Letter to DPC for Clarification

25.01.2023
DPC has commenced an Inquiry

DPC has commenced an Inquiry under Section 110 1 of the Act 18

25.01.2023
DPC informs about commencement of inquiry
19.12.2022
DPC nonamicable resolution letter
16.12.2022
Submission by noyb

Submission by noyb sent violation type K outstanding

01.12.2022
DPC fowarded another submission by the controller
26.10.2022
noyb submission

noyb replied that the complaint outlines the categories of personal data that Twitter has collected as a result of the setting of the cookies and that violation type K has not been remedied yet.

26.10.2022
DPC letter

DPC replied they will forward noyb's response to Twitter and ask Twitter if they are able to proceed to reply to the DPC in the absence of this information.

26.10.2022
DPC letter
26.10.2022
noyb response
24.10.2022
Controller Submission

DPC forwarded to us a response from Twitter. Twitter claims that it was unable to confirm the requested information.

11.08.2022
noyb letter

noyb responded to the DPC that they excluded one case from their list of complaints and requested that all complaints be covered.

10.08.2022
DPC letter

DPC confirmed they will start the investigation of 17 complaints.

05.08.2022
DPC notification

DPC one-liner they will respond in the coming days

02.08.2022
noyb letter to DPC

noyb responded that the DPC is competent to investigate the cases under the GDPR and that it does not make sense to forward them to the telecoms authorities abroad. noyb provided evidence that personal data was processed when submitting complaints.

29.07.2022
DPC letter

DPC letter insisting they are not competent to investigate

19.07.2022
DPC letter

DPC worte that they will respond in the coming days.

12.07.2022
noyb letter to DPC

noyb responded that that (1) this does not make sense under Irish ePrivacy law and (2) the complaint is brought also under GDPR and their own ePrivacy guidance says that if there is personal data in a cookie, GDPR applies.

11.07.2022
DPC letter

DPC wrote that their assessment suggests that the DPC may not be the competent authority to carry out investigations under Regulation 17 of S.I. No. 336 of 2011 because the complainant's device was outside of Ireland at the time of the violation.

07.03.2022
DPC letter

DPC is still into it and the appropriate legislative framework under which to deal with them.

07.03.2022
noyb Status Update request

noyb asked DPC to indicate a specific date when the next update can be expected and when we can get access to the submissions, if any were made.

23.12.2021
Email from the controller
10.09.2021
DPC acknowledged receipt

DPC acknowledged receipt of the complaint and is assessing it.

10.08.2021
Complaint