Status of non-EU processors under Article 3(2) GDPR

A thorough analysis of clear things and grey zones of the EDPB Guidelines 3/2018 on territorial scope. My attention was, in particular, drawn by a friendly reminder that a status of a non-EU processor is dual as per Article 3(2): it is indirectly influenced by the GDPR if carries out processing on behalf of a … Continue reading Status of non-EU processors under Article 3(2) GDPR