If that succeeds, it can be said that there are no China Phone Number List concerns with regard to transfers outside the EU. In practice, however, this is a gray area. What data is it about? Sharing personal data with the US only includes sharing data that relates to others. When you send your own personal data to the US, you also give your consent. Of course, this does not China Phone Number List apply to sharing other people's data with an organization outside the EU. In addition, the Court's ruling does not mean that exchanges with the US are no longer allowed at all: Data transfers without personal data are not covered by the GDPR, and 'Necessary', incidental data China Phone Number List transfers (for example for a hotel booking in the US) fall under Article 49 of the GDPR and are therefore excluded from the ruling.
What should I do now with my China Phone Number List current software solutions? Almost every organization uses an American provider in marketing solutions: Google (Analytics), Mailchimp, SalesForce, HubSpot, you name it. Transferring personal data to the US was not a China Phone Number List problem due to the Privacy Shield, but now that that certification mechanism has disappeared, advertisers will have to check much more closely whether the providers of these tools transfer personal data to the US. Map your data flows accurately The first step in getting your marketing China Phone Number List solutions compliant is to map out your current solution(s).
You can do this by asking China Phone Number List these four questions: 1. In which countries does the supplier have data centers? In the processor agreement, you will find whether a processor may store data outside the EU, and with which China Phone Number List parties they may share that data. For example, there are European providers that use the American infrastructure. As a result, data is still sent across the ocean and there is a good chance that your data falls China Phone Number List under American regulations.