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Opinions Prior Check and Prior Consultations

Some of the procedures that EU institutions put in place pose risks to the data protection rights and freedoms of individuals.

Under the old legal framework (Regulation (EC) 45/2001), EU institutions were obliged to notify us before putting in place risky data processing operations.

In general, our prior checking Opinions were public.

Regulation 2018/1725 builds on the old Regulation and mirrors the General Data Protection Regulation (EU) 2016/679 (GDPR) that applies to most organisations processing personal data in the Member States. Compared to the previous rules, Regulation 2018/1725 aligns documentation obligations more closely to the risks caused by processing personal data. This means for example that the documentation requirements for a EUI’s newsletter subscription will be lower than for a system using ‘intelligent CCTV’ covering publicly accessible space or a database profiling travellers for screening purposes.

Depending on the process at hand, EU institutions processing personal data ('controllers') may not have to go through all the steps below (these steps are described in the Accountability on the ground toolkit): 
• Generate basic documentation (called ‘records’) for all processes; 
• Check if the process is likely to result in high risks to the people whose data are processed and consult the DPO if it appears to do so; 
• If the EU institution needs to do a data protection impact assessment (DPIA), they analyse those risks in more detail and develop specific safeguards/controls to manage them; 
• If the results of the DPIA still indicate high residual data protection risks, the EU institution has to file a prior consultation with the EDPS (see Articles 40 and 90 of Regulation 2018/1725 respectively for administrative and operational personal data).

Article 39 of Regulation 2016/794 on Europol provides for an ad hoc prior consultation mechanism for new type of processing of operational data, namely data processed by Europol to support the Member States in preventing and combating serious crime and terrorism. Similarly, Article 72 of Regulation 2017/1939 on the European Public Prosecutor Office (EPPO) provides a specific prior consultation mechanism for the processing of operational data, namely data processed in the context of criminal investigations and prosecutions undertaken by the EPPO. Regulation 2018/1725, including the standard prior consultation mechanism, applies to Europol's and EPPO's processing of administrative data, which includes data on staff and visitors, for example.

Where an EU institution is unsure whether to notify us a data processing operation for prior consultation, their DPO can consult us for advice to confirm.

As for the old prior checking Opinions, in general the prior consultation Opinions are public, but we may delete sensitive elements where necessary, related to security for example. Some opinions, which are by nature sensitive, in particular in the police and justice area, may not be published. For the sake of transparency, these Opinions are summarised in our Annual Report.

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29
Oct
2009

Spontaneous job applications in BEPA - Commission

Opinion of 29 October 2009 on a notification for prior checking regarding spontaneous job applications in the Bureau of European Policy Advisers (BEPA) (Case 2009-013)

The mission of the Bureau of European Policy Advisers (BEPA) is to provide policy and political advice to the President and Commission services on issues relevant to the President's agenda and future of policies in the Union. The EDPS examined the processing operations related to the collection of spontaneous CVs in order to constitute a reserve of potentially suitable candidates for future job openings at BEPA.

The EDPS found that there was no reason to believe that there is a breach of the provisions of Regulation 45/2001 providing the Commission remind the members of the BEPA management team that they only use the CVs submitted to them for the selection of job openings at BEPA and establish the possibility for candidates to have access to all data in their file taking into account possible restrictions in accordance with Article 20(1) of Regulation (EC) 45/2001 and inform candidates of this right accordingly.

Available languages: English
12
Oct
2009

Visiting positions for defined period of time at the JRC - Commission

Opinion of 12 October 2009 on a notification for prior checking regarding "Visiting positions as invited persons or unpaid visiting scientists or structural trainees for defined period of time at the JRC" (Case 2007-737)

Available languages: English, French
5
Oct
2009

Use of reserve lists - Court of Auditors

Opinion of 5 October 2009 on the notification for prior checking regarding the "use of reserve lists of suitable candidates for the recruitment of officials, temporary staff and contract staff" case (Case 2008-433)

The prior checking examination covers the processing of personal data by the Court of Auditors in the context of a procedure for the recruitment of successful candidates in competitions as well as other selection procedures. The procedure applies to successful candidates in EPSO competitions as well as in competitions or "screening" procedures organised by the Court itself.

It should be noted that the EDPS' examination is linked to that carried out for the case relating to the Court of Auditor's recruitment procedure (2008-313) in his opinion of 23 July 2009.

The recommendations by the EDPS endeavour to ensure that data subjects are clearly and comprehensively informed of their right of access to files concerning them, and to ensure a consistent data storage policy.

Available languages: English, French
29
Sep
2009

Security Support System - Parliament

Opinion of 29 September 2009 on a notification for prior checking concerning the "Security Support System" (Case 2009-225)

The collection of data in the Security Support System has the purpose to provide support to missions outside the three places of work of the EP in case of medical emergencies. The information is provided by the data subject on a voluntary basis. Data will only be used in emergency situations and only given to local health staff if needed.

Available languages: English
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