EDPB Supplementary Measures Recommendations and German DPA Guidance Post Schrems II | Practical Law

EDPB Supplementary Measures Recommendations and German DPA Guidance Post Schrems II | Practical Law

An Article discussing the European Data Protection Board's (EDPB) draft recommendations on measures that supplement transfer tools to ensure compliance with the EU level of protection of personal data (EDPB 01/2020) (November 10, 2020) (Supplementary Measures Guidance) and the European Essential Guarantees for surveillance measures recommendations (EDPB 02/2020) (November 10, 2020) following the EU Court of Justice's (ECJ) decision in Data Protection Commissioner v. Facebook Ireland and Maximillian Schrems (Schrems II). This article also summarizes non-EEA data transfer guidance from German supervisory authorities post Schrems II. This article does not discuss the EDPB's final supplementary measures recommendations.

EDPB Supplementary Measures Recommendations and German DPA Guidance Post Schrems II

by Peter Suhren, First Privacy GmbH, with Practical Law Data Privacy & Cybersecurity
Law stated as of 05 Jan 2021European Union, Germany, USA (National/Federal)
An Article discussing the European Data Protection Board's (EDPB) draft recommendations on measures that supplement transfer tools to ensure compliance with the EU level of protection of personal data (EDPB 01/2020) (November 10, 2020) (Supplementary Measures Guidance) and the European Essential Guarantees for surveillance measures recommendations (EDPB 02/2020) (November 10, 2020) following the EU Court of Justice's (ECJ) decision in Data Protection Commissioner v. Facebook Ireland and Maximillian Schrems (Schrems II). This article also summarizes non-EEA data transfer guidance from German supervisory authorities post Schrems II. This article does not discuss the EDPB's final supplementary measures recommendations.