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 | Podsumowanie |
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08.05.2023 | DSB lifted the suspension of the case pending before them Has been suspended until the LSA's decision |
08.05.2023 | DSB send us the Danish DPAs decision They say that they cannot establish, whether or not the complainant's personal data has been transferred, because there is a disagreement between the parties if such transfer took place. However, because of that, they saw a violation of Articles 5(1)(a), 5(2), and 24(1). Also violation of Articles 5(1)(a), 5(2), 24(1) and 26 GDPR, because there was no proper joint controller agreement. |
02.05.2023 | Danish DPA called noyb back Danish DPA informed that a final decision has been made, but that the decision is awaiting a translation from the DSB |
28.04.2023 | noyb called the Danish DPA It was agreed on the phone that the case manager will call noyb back with a status update on the complaints |
21.03.2022 | DSB informed us that they have no news from the Danish DPA DSB informed us that they haven't heard anything from the Danish DPA since they forwarded our latest submission. |
23.02.2022 | Again the controllers lawye put us Cc On this day and also on 28.02. and on 14.03.2022 the controller's lawyer put us Cc in messages to the Danish DPA. |
17.02.2022 | noyb again asked the DSB for an update |
29.11.2021 | noyb filed the requested submission |
10.11.2021 | DSB forwarded us a letter by the Danish DPA DSB forwarded us a letter by the Danish DPA with a statement of the controller. We have 3 weeks to reply. |
09.07.2021 | noyb asked the DSB for an update |
03.06.2021 | Controllers lawyer put us Cc in a message to the Danish DPA Controller's lawyer put us Cc in a message to the Danish DPA. We will wait until the DSB provides us with this message and a translation into German. |
16.03.2021 | noyb filed a reply to the controllers statement |
24.02.2021 | We received the promised translation into German We received the promised translation into German. 3 week deadline to submit our reply. |
19.02.2021 | DSB informed us that we will get German translation of the controllers submission DSB informed us that we will receive a German translation of the controller's submission and that the 3 week deadline to reply will only start once we have received it. |
11.02.2021 | noyb sent a reminder to the DSB which replied on the same day noyb sent a reminder to the DSB which replied on the same day saying that they are awaiting the Danish DPA's reply. In the DSB's opinion, the 3week deadline set by the Danish DPA can only start once we have received the German translation |
01.02.2021 | Danish DPA emailed us directly Danish DPA emailed us directly, asking us to respond to the controller's letter from January 4th within three weeks. We not want LSAs to set deadlines, so noyb called the DSB asking them to confirm that they would be the ones setting deadlines. |
04.01.2021 | We received a letter from the controller to the Danish DPA We received a letter from the controller to the Danish DPA. We were only put Cc. The letter contains an inofficial translation into English. We will wait till the DSB as OSS provides us with that letter or forwards a request of the Danish DPA to reply to. |
01.10.2020 | DSB stayed procedure until LSA is established and has decided |
17.08.2020 | Complaint |