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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14.04.2023 | Update by DSB ... complaint continues to be under investigation |
14.09.2022 | Update by Czech DPA wrongfully naming a current noyb trainee as complainant. Analysis of case is done and on the basis of these analyses, the controller will be contacted to potentially rectify the situation |
05.09.2022 | noyb called Czech DPA again noyb called them, they replied that they are conducting detailed analyses of the complaints at the moment, waiting for a decision from their superiors and think that there will be an analysis/draft decision made soon, approximately within 10 days, they will let us know directly when that happens. The case number of the complaint against POMO is UOOU-04231/20. |
26.07.2022 | Czech DPA confirmed receipt of our email automated message |
25.07.2022 | noyb asked Czech DPA for an update noyb spoke with the Czech DPA on the phone before that day. In the phone call, the Czech DPA asked noyb to sent her questions per email, as the Czech DPA was unable to find the complaints. |
17.02.2022 | noyb asked or an update again |
12.08.2021 | DSB informed us that the complaint continues to be under investigation DSB informed 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 asked for an update |
23.09.2020 | DSB stayed procedure until LSA is established and has decided |
17.08.2020 | Complaint |