Everything you need to know about the CIL, the laws on personal data in Burkina Faso, the rights of citizens and the dangers for companies.
Everything you need to know about the CIL, the laws on personal data in Burkina Faso, the rights of citizens and the dangers for companies.
How do you launch a fintech in French-speaking Africa? What prerequisites must be met? We answer your questions about this expanding sector.
Declaring your personal data processing to the Autorité de Régulation des Télécommunications/TIC de Côte d’Ivoire (” ARTCI “) is mandatory if your start-up processes personal data.
Everything you need to know about the CIL, the laws on personal data in Burkina Faso, the rights of citizens and the dangers for companies.
Implementing security measures is an obligation imposed by the RGPD. What is a personal data breach? How to react? What are my obligations as a data controller? What are my obligations when my startup acts as a subcontractor?
Informing data subjects is mandatory if your startup processes personal data. The RGPD requires clear and precise information. How do I inform the people whose personal data I process? What information do I need to pass on?
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?
Declaring your personal data processing to the Autorité de Régulation des Télécommunications de Côte d’Ivoire (ARTCI) is mandatory if your startup processes personal data. In addition, Law no. 2013-450 of June 19, 2013 (“Law no. 2013-450”) on the protection of personal data lays down further obligations when you process personal data or sensitive data.
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?