Keeping a register of processing activities is mandatory if your startup processes personal data (as controller and processor) with regard to European regulations (RGPD). What are the obligations imposed by Article 30 of the RGPD? How to keep records of personal data processing?
How do you know if your startup is subject to the European General Data Protection Regulation (“GDPR”)? How do you distinguish whether your startup is acting as a processor or a data controller under the RGPD? What are your obligations under the RGPD?
Declaring your personal data processing operations to the CNDP is mandatory if your startup processes personal data. What is personal data processing? Which form to fill in? The aim of this article is to help you understand these regulations.