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.
Data | Summary |
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06.03.2023 | decision by DSB upheld against oe24 but rejected against Meta because in the DSB's view only the data exporteur is subject to Chapter V GDPR |
18.10.2022 | Reply by noyb |
27.09.2022 | Submission Meta Inc In reply to our submission and that of oe24. Nothing substantially new, 3 weeks deadline to reply. |
27.09.2022 | Statement by Meta Inc Not really new arguments |
22.08.2022 | Notification by DSB DSB will hear Meta and oe24 on our submissions and then intends to issue a decision. |
25.07.2022 | Submission noyb ... on Meta's last submission |
13.07.2022 | noyb asked DSB to provide us with Meta Incs submission of November 2022 noyb asked DSB to provide us with Meta Inc's submission of 11.03.2022, which we had not been provided with yet but which is mentioned in the minutes of the interrogation. On the same day, the DSB provided us with this submission. |
27.06.2022 | DSB sent us the minutes of the interogation of Facebook Inc DSB sent us the minutes of the interrogation and gave us a 4 week deadline to give a statement. |
01.06.2022 | noyb sopke to DSB on the phone After we learned about an oral hearing with the DSB and FB noyb spoke to the DSB on the phone in that matter. The case manager explained that there had been no oral hearing but that he has only interrogation and we will be provided with the protocol. |
21.05.2022 | noyb met with the controller upon their request General update on situation, no procedural relevance. |
21.02.2022 | DSB replied that the investigation is ongoing |
17.02.2022 | npyb asked the DSB for an update |
24.09.2021 | noyb filed the requested submission |
04.08.2021 | DSB granted the extension of the deadline DSB granted the extension of the deadline. New deadline: 24.09.2021. |
03.08.2021 | noyb sent an email to the DSB asking for a 3 week extension of the deadline as their submissions are extensive and contain a lot of untrue or distracting statements that need to be countered |
30.07.2021 | DSB sent us several statements by Facebook DSB sent us several statements by and correspondence with FB Inc and set a 5 week deadline for us to reply. Facebook has been trying to ensure that we do not get to see their submissions because they are "confidential". Without success. |
11.05.2021 | DSB gave us access to the case file DSB gave us access to the file. They also set a 2 week deadline for FB Inc to give a statement. |
10.05.2021 | noyb submitted a statement to the DSB noyb submitted our statement to the DSB stating that FB Inc is a party to the procedure and that the DSB is competent for them under Article 55 GDPR. Also, we requested access to the file. |
06.05.2021 | DSB informed us that they are still in exchange with Facebook DSB informed us that they had asked FB Inc for a statement. FB Inc had replied that FB Ireland is responsible for the processing, so the DSB had forwarded their questions to FB Ireland, which in turn stated that only the DPC would be competent for them. |
26.02.2021 | DSB informed us that they have asked Facbeook for a statement DSB informed us, that they have asked FB for a statement on the use of FB Tools. Deadline for FB: 3 weeks. |
22.01.2021 | We submitted our reply to the DSB |
07.01.2021 | DSB sent us oe24s reply and gave us 5 weeks to reply |
16.12.2020 | noyb replied to the lawyers of of oe24 that contacted us asking to withdraw the complaint We will not withdraw. |
16.12.2020 | Received a message from the lawyers oe24 Received a ticket from the lawyers of oe24 stating that immediately after receiving the complaint, they removed all Facebook tools. noyb checked this on Dec. 16 and this is true, there is no sign of Facebook cookies anymore. However, the company still uses a multitude of cookies causing unlawful data transfers. |
06.10.2020 | DSB stayed procedure until LSA is established and has decided |
17.08.2020 | Complaint |