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.
Päivämäärä | Summary |
---|---|
14.12.2023 | DSB also sends us the Norwegian DPAs decisions and ends the procedure Norwegian DPA already served us with the decision in July (see below) |
26.07.2023 | Norwegian DPA issues a reprimand against the controller |
28.02.2023 | Norwegian DPA informs us that they intend to issue a reprimand against the controller and that draft decision will go through procedure under Art 60 GDPR |
17.02.2022 | noyb sends a request for an update to the DSB |
25.08.2021 | DSB informs us that the complaint continues to be under investigation DSB informs us that the complaint continues to be under investigation and that it is being handled in close cooperation with other concerned DPAs in order to esure a uniform approach. |
09.07.2021 | noyb asks DSB for update |
10.12.2020 | noyb replies that there had been a mistake on our website noyb replies that there had been a mistake on our website an we did not file a complaint against "Björgu AS" with the Norwegian DPA. |
09.12.2020 | Norwegian DPA contacts us because they are confused by the complaint table on our website Norwegian DPA contacts us because the are confused about our complaint table on our website, which mentions "Björgu AS". |
23.09.2020 | DSB notifies us that the procedure is stayed until establishment of LSA |
17.08.2020 | Complaint |