Dear European Data Protection Board,

Under the right of access to documents in the EU treaties, as developed in Regulation 1049/2001, I am requesting documents which contain the following information:

1 Context of the Request

In an opinion of a German data protection supervisory authority, reference is made to the following circumstance (free translation from German):

"The interpretation of Art. 48 of the GDPR is the responsibility of the the International Data Traffic Working Group or the Security Working Group, insofar as topics are discussed there that fall within the remit of the the responsibility of the BTLE subgroup. (The BTLE subgroup has developed corresponding guidelines on Art. 48 of the GDPR with the participation of the Intemational Transfer Subgroup in its work plan). "

Quelle: https://fragdenstaat.de/anfrage/gutachte..., p. 2.

2 My Request

2.1 All documents (e.g. statements, expert opinions, press reports, guidelines) related to the development of the above mentioned Guidelines on Art. 48 GDPR.

2.2 An indication of what the current progress is in the development of the above-mentioned Guidelines on Art. 48 GDPR.

Yours faithfully,
HR

European Data Protection Board, Comité Europeo de Protección de Datos

Thank you for your message and for your interest in data protection. We
will look into your request and get back to you within due time.
The EDPB Secretariat

Dear European Data Protection Board,

according to European Law EU institutions have the obligation to answer within 15 working days on such requests. In exceptional cases, for example when asking for a large number documents, an extension of 15 further working days can be applied to your request. Please provide me with brief feedback on the current status of my request and approximately when I can expect to hear back.

Yours faithfully,
HR

European Data Protection Board, Comité Europeo de Protección de Datos

Dear Mr. Roth,

 

Thank you for your email.

 

As explained in our previous emails (most recently on 17/02), at the
moment the EDPB Secretariat does not have the resources to handle all of
your requests at the same time (also taking into account other requests
for access to documents submitted by other applicants), within the legal
deadlines foreseen in Regulation 1049/2001.

 

We have therefore informed you that your requests will be handled, one by
one, once we have responded to your three currently ongoing requests
(2022-04, 2022-06 and 2022-08). The respective deadlines for replying to
these three requests are, as already communicated to you, 28/02, 02/03 and
03/03.

 

Once the last of these three requests has been replied to, we will
register your next request in chronological order, unless you indicate a
different priority.

 

Please find below a list of your current pending requests, in
chronological order:

 

Received Request
Recommendations
02/2020 on the
European
Essential
Guarantees for
surveillance
measures. 1.
Documentation
showing why
there was no
19/01/2022 public
consultation.
2. Documents
containing
information
used to prepare
Recommendations
02/2020 (e.g.,
legal opinions,
third-party
comments, own
research).
1 All documents
(e.g.
statements,
expert
opinions, press
reports,
guidelines)
related to the
development of
the above
mentioned
29/01/2022 Guidelines on
Art. 48 GDPR.
2. An
indication of
what the
current
progress is in
the development
of the
above-mentioned
Guidelines on
Art. 48 GDPR
1. Current
overview of all
subgroups of
the EDPB with a
breakdown of
which
authorities of
which EU member
state are
represented in
which subgroup
2. Minutes,
opinions,
statements and
29/01/2022 other documents
that have been
used by the
members of the
ITS since
16.07.2020 in
the context of
the work of the
ITS. 3. 3
Indication of
the
relationship of
the subgroups
to the EDPB
(e.g. advisory
role only).
CEF. 1)
Information,
embodied in
particular in
documents such
as sample
questionnaires
or sampling
parameters,
which provide
information on
how contact and
exchange is or
will be made
with the
'public' bodies
mentioned in
the press
15/02/2022 release as part
of the
coordinated
audit on the
part of the
BfDI 2)
Information, in
particular
embodied in
documents,
which provide
information
about when
exactly the
audit mentioned
in the press
release was or
will be
started.
CEF: 1) )
information,
embodied in
particular in
documents,
indicating
which of the
European
regulators are
meant in both
PR that have
joined the
joint
coordinated
review of cloud
15/02/2022 services in the
public sector.
2) information,
embodied in
particular in
documents,
indicating How
the "75" public
bodies
mentioned in
PR2 were
selected and
which public
bodies they are
in detail (name
of the public
bodies).
Opinion 03/2022
on the draft
decision of the
French
Supervisory
Authority
regarding the
Processor
Binding
Corporate Rules
of the WEBHELP
Group - 1.
Documents
provided to the
EDPB by the
French
regulator or by
the WEBHELP
Group such that
the EDPB has
concluded, as
cited in 1
above, that the
BCRs of the
WEBHELP Group
contain
19/02/2022 "adequate
safeguards" as
defined above
(e.g.,
documents
comparable to a
'Transfer
Impact
Assessment').
2. Beyond the
documents in
2.1, such
documents that
provide
information on
how the EDPB
has arrived at
the assessment
by others that
WEBHELP Group's
BCRs contain
"appropriate
safeguards" as
defined above
(e.g., through
internal legal
opinions of the
EDPB).

 

The next request we intend to register is therefore the one you have sent
on 19/02, regarding European Essential Guarantees. In case you prefer to
have a different request handled first, please let us know this no later
than 2 March end of business.

 

Please note we will contact you separately, via the relevant ask-the-eu
email address regarding any of your requests which require clarifications.

 

We remain available in case of any questions.

 

Best regards

 

EDPB Secretariat

 

 

mostrar partes citadas

European Data Protection Board, Comité Europeo de Protección de Datos

Dear Mr. Roth,

 

In the absence of any reply to our email below of 28/02, we confirm
registration of your next access to documents request listed below
("Recommendations 02/2020 on the European Essential Guarantees for
surveillance measures") and registered it today under reference 2022/21.
Please use this reference for further correspondence.

 

We are currently assessing your request and will provide you with a reply
within 15 working days (24/03/2022).

 

Please note that the EDPB specific privacy statement regarding the
processing of personal data for the purposes of handling requests for
access to documents is available on the EDPB website and can be viewed via
this link:
[1]https://edpb.europa.eu/sites/edpb/files/...

 

As mentioned in our email below, once we have replied to this request, we
will proceed with registering your next request in the order it has been
received, i.e. the one related to guidelines on Article 48 GDPR.

 

Should you have any further queries, please do not hesitate to contact us.

 

Best regards,

 

The EDPB Secretariat

 

 

From: European Data Protection Board <[EDPB request email]>
Sent: 28 February 2022 15:33
To: Heiko Roth <[FOI #10667 email]>
Cc: European Data Protection Board <[EDPB request email]>;
[email address]
Subject: RE: access to documents request - Working Documents for
Guidelines regarding Art. 48 GDPR

 

Dear Mr. Roth,

 

Thank you for your email.

 

As explained in our previous emails (most recently on 17/02), at the
moment the EDPB Secretariat does not have the resources to handle all of
your requests at the same time (also taking into account other requests
for access to documents submitted by other applicants), within the legal
deadlines foreseen in Regulation 1049/2001.

 

We have therefore informed you that your requests will be handled, one by
one, once we have responded to your three currently ongoing requests
(2022-04, 2022-06 and 2022-08). The respective deadlines for replying to
these three requests are, as already communicated to you, 28/02, 02/03 and
03/03.

 

Once the last of these three requests has been replied to, we will
register your next request in chronological order, unless you indicate a
different priority.

 

Please find below a list of your current pending requests, in
chronological order:

 

Received Request
Recommendations
02/2020 on the
European
Essential
Guarantees for
surveillance
measures. 1.
Documentation
showing why
there was no
19/01/2022 public
consultation.
2. Documents
containing
information
used to prepare
Recommendations
02/2020 (e.g.,
legal opinions,
third-party
comments, own
research).
1 All documents
(e.g.
statements,
expert
opinions, press
reports,
guidelines)
related to the
development of
the above
mentioned
29/01/2022 Guidelines on
Art. 48 GDPR.
2. An
indication of
what the
current
progress is in
the development
of the
above-mentioned
Guidelines on
Art. 48 GDPR
1. Current
overview of all
subgroups of
the EDPB with a
breakdown of
which
authorities of
which EU member
state are
represented in
which subgroup
2. Minutes,
opinions,
statements and
29/01/2022 other documents
that have been
used by the
members of the
ITS since
16.07.2020 in
the context of
the work of the
ITS. 3. 3
Indication of
the
relationship of
the subgroups
to the EDPB
(e.g. advisory
role only).
CEF. 1)
Information,
embodied in
particular in
documents such
as sample
questionnaires
or sampling
parameters,
which provide
information on
how contact and
exchange is or
will be made
with the
'public' bodies
mentioned in
the press
15/02/2022 release as part
of the
coordinated
audit on the
part of the
BfDI 2)
Information, in
particular
embodied in
documents,
which provide
information
about when
exactly the
audit mentioned
in the press
release was or
will be
started.
CEF: 1) )
information,
embodied in
particular in
documents,
indicating
which of the
European
regulators are
meant in both
PR that have
joined the
joint
coordinated
review of cloud
15/02/2022 services in the
public sector.
2) information,
embodied in
particular in
documents,
indicating How
the "75" public
bodies
mentioned in
PR2 were
selected and
which public
bodies they are
in detail (name
of the public
bodies).
Opinion 03/2022
on the draft
decision of the
French
Supervisory
Authority
regarding the
Processor
Binding
Corporate Rules
of the WEBHELP
Group - 1.
Documents
provided to the
EDPB by the
French
regulator or by
the WEBHELP
Group such that
the EDPB has
concluded, as
cited in 1
above, that the
BCRs of the
WEBHELP Group
contain
19/02/2022 "adequate
safeguards" as
defined above
(e.g.,
documents
comparable to a
'Transfer
Impact
Assessment').
2. Beyond the
documents in
2.1, such
documents that
provide
information on
how the EDPB
has arrived at
the assessment
by others that
WEBHELP Group's
BCRs contain
"appropriate
safeguards" as
defined above
(e.g., through
internal legal
opinions of the
EDPB).

 

The next request we intend to register is therefore the one you have sent
on 19/02, regarding European Essential Guarantees. In case you prefer to
have a different request handled first, please let us know this no later
than 2 March end of business.

 

Please note we will contact you separately, via the relevant ask-the-eu
email address regarding any of your requests which require clarifications.

 

We remain available in case of any questions.

 

Best regards

 

EDPB Secretariat

 

 

mostrar partes citadas

European Data Protection Board, Comité Europeo de Protección de Datos

Dear Mr. Roth,

 

We refer to your email dated 19/01/2022 in which you made a request for
access to documents, registered on 03/03/2022 under reference number
2022/21.

 

Your application is currently being handled. However, we will not be in a
position to complete the handling of your application within the time
limit of 15 working days, which expires today (24/03/2022).

 

An extended time limit is needed, as your application covers a large
amount of documents that need to be identified and assessed.

 

Therefore, we have to extend the time limit for another 15 working days in
accordance with Article 7(3) of Regulation (EC) No 1049/2001 regarding
public access to documents. The new deadline expires on 19/04/2022.

 

We apologise for this delay and for any inconvenience this may cause.

 

Finally, we take the opportunity to remind you that, in line with the
message sent to you on 17/02/2022 (copied below for your reference), once
the present request has been closed, we will proceed with registering the
next of your requests in chronological order. The next request is
therefore the one you have sent on 29/01/2022, regarding documents related
to the development of guidelines on Article 48 GDPR. In case you prefer to
have a different request handled first, please let us know this no later
than 7 April end of business.

 

 

Yours sincerely,

 

On behalf of

Ventsislav Karadjov, deputy chair of the EDPB

 

 

From: European Data Protection Board <[1][EDPB request email]>
Sent: 28 February 2022 15:33
To: Heiko Roth <[2][FOI #10667 email]>
Cc: European Data Protection Board <[3][EDPB request email]>;
[4][email address]
Subject: RE: access to documents request - Working Documents for
Guidelines regarding Art. 48 GDPR

 

Dear Mr. Roth,

 

Thank you for your email.

 

As explained in our previous emails (most recently on 17/02), at the
moment the EDPB Secretariat does not have the resources to handle all of
your requests at the same time (also taking into account other requests
for access to documents submitted by other applicants), within the legal
deadlines foreseen in Regulation 1049/2001.

 

We have therefore informed you that your requests will be handled, one by
one, once we have responded to your three currently ongoing requests
(2022-04, 2022-06 and 2022-08). The respective deadlines for replying to
these three requests are, as already communicated to you, 28/02, 02/03 and
03/03.

 

Once the last of these three requests has been replied to, we will
register your next request in chronological order, unless you indicate a
different priority.

 

Please find below a list of your current pending requests, in
chronological order:

 

Received Request
Recommendations
02/2020 on the
European
Essential
Guarantees for
surveillance
measures. 1.
Documentation
showing why
there was no
19/01/2022 public
consultation.
2. Documents
containing
information
used to prepare
Recommendations
02/2020 (e.g.,
legal opinions,
third-party
comments, own
research).
1 All documents
(e.g.
statements,
expert
opinions, press
reports,
guidelines)
related to the
development of
the above
mentioned
29/01/2022 Guidelines on
Art. 48 GDPR.
2. An
indication of
what the
current
progress is in
the development
of the
above-mentioned
Guidelines on
Art. 48 GDPR
1. Current
overview of all
subgroups of
the EDPB with a
breakdown of
which
authorities of
which EU member
state are
represented in
which subgroup
2. Minutes,
opinions,
statements and
29/01/2022 other documents
that have been
used by the
members of the
ITS since
16.07.2020 in
the context of
the work of the
ITS. 3. 3
Indication of
the
relationship of
the subgroups
to the EDPB
(e.g. advisory
role only).
CEF. 1)
Information,
embodied in
particular in
documents such
as sample
questionnaires
or sampling
parameters,
which provide
information on
how contact and
exchange is or
will be made
with the
'public' bodies
mentioned in
the press
15/02/2022 release as part
of the
coordinated
audit on the
part of the
BfDI 2)
Information, in
particular
embodied in
documents,
which provide
information
about when
exactly the
audit mentioned
in the press
release was or
will be
started.
CEF: 1) )
information,
embodied in
particular in
documents,
indicating
which of the
European
regulators are
meant in both
PR that have
joined the
joint
coordinated
review of cloud
15/02/2022 services in the
public sector.
2) information,
embodied in
particular in
documents,
indicating How
the "75" public
bodies
mentioned in
PR2 were
selected and
which public
bodies they are
in detail (name
of the public
bodies).
Opinion 03/2022
on the draft
decision of the
French
Supervisory
Authority
regarding the
Processor
Binding
Corporate Rules
of the WEBHELP
Group - 1.
Documents
provided to the
EDPB by the
French
regulator or by
the WEBHELP
Group such that
the EDPB has
concluded, as
cited in 1
above, that the
BCRs of the
WEBHELP Group
contain
19/02/2022 "adequate
safeguards" as
defined above
(e.g.,
documents
comparable to a
'Transfer
Impact
Assessment').
2. Beyond the
documents in
2.1, such
documents that
provide
information on
how the EDPB
has arrived at
the assessment
by others that
WEBHELP Group's
BCRs contain
"appropriate
safeguards" as
defined above
(e.g., through
internal legal
opinions of the
EDPB).

 

The next request we intend to register is therefore the one you have sent
on 19/02, regarding European Essential Guarantees. In case you prefer to
have a different request handled first, please let us know this no later
than 2 March end of business.

 

Please note we will contact you separately, via the relevant ask-the-eu
email address regarding any of your requests which require clarifications.

 

We remain available in case of any questions.

 

Best regards

 

EDPB Secretariat

 

 

 

References

Visible links
1. mailto:[EDPB request email]
2. mailto:[FOI #10667 email]
3. mailto:[EDPB request email]
4. mailto:[email address]

European Data Protection Board, Comité Europeo de Protección de Datos

8 Adjuntos

Dear Mr Roth,

 

Please find attached the reply to your access to documents request
(2022-21), signed by Mr Ventsislav Karadjov, Vice-Chair of the EDPB.

 

Best regards,

The EDPB Secretariat

 

┌─────────────────────────────────────╥───────────────────────────────────────────────────────┐
│ ║European Data Protection Board │
│ ║ │
│ ║Postal address: Rue Wiertz 60, B-1047 Brussels │
│[1]cid:image001.png@01D42EFC.C1379A70║ │
│ ║Office address: Rue Montoyer 30, B-1000 Brussels │
│ ║ │
│ ║[2]cid:image003.png@01D42EFC.C1379A70 [3]edpb.europa.eu│
└─────────────────────────────────────╨───────────────────────────────────────────────────────┘

 

 

 

References

Visible links
3. https://www.edpb.europa.eu/

Dear European Data Protection Board,

Thank you very much for your feedback and for sending me the additional documents. As far as I can see correctly, you have re-uploaded the documents I requested in the context of Recommendation 02/2020 here. The latter can already be found here:

https://www.asktheeu.org/en/request/reco...

However, the request on this request site refers to the requested documents in the context of the Guideline on Art. 48 GDPR.

Yours sincerely,
HR

European Data Protection Board, Comité Europeo de Protección de Datos

Dear Sir/Madam,

Thank you for your message and for your interest in data protection. We
will look into your request and get back to you within due time.

Kind regards,

The EDPB Secretariat  

European Data Protection Board, Comité Europeo de Protección de Datos

2 Adjuntos

Dear Mr. Roth,

 

As indicated in our email of 28/02 (below), we confirm registration of
your next access to documents request listed below ("Guidelines on Art. 48
GDPR"). It was registered today under reference 2022/32. Please use this
reference for further correspondence.

 

Please note that point 2 of your request ("An indication of what the
current progress is in the development of the above-mentioned Guidelines
on Art. 48 GDPR") has been categorised as a request for information, which
falls under a different scope than that for requests of access to
documents. As such, it was transferred to our team dealing with requests
for information, which will provide you shortly with a reply.

 

We are currently assessing your request and will provide you with a reply
within 15 working days (12/05/2022).

 

Please note that the EDPB specific privacy statement regarding the
processing of personal data for the purposes of handling requests for
access to documents is available on the EDPB website and can be viewed via
this link: [1]https://edpb.europa.eu/edpb-specific-pri....

 

As mentioned in our email below, once we have replied to this request, we
will proceed with registering your next request in the order it has been
received, i.e. expert subgroup overview and work of ITS.

 

Should you have any further queries, please do not hesitate to contact us.

 

Best regards,

The EDPB Secretariat

 

┌─────────────────────────────────────╥───────────────────────────────────────────────────────┐
│ ║European Data Protection Board │
│ ║ │
│ ║Postal address: Rue Wiertz 60, B-1047 Brussels │
│[2]cid:image001.png@01D42EFC.C1379A70║ │
│ ║Office address: Rue Montoyer 30, B-1000 Brussels │
│ ║ │
│ ║[3]cid:image003.png@01D42EFC.C1379A70 [4]edpb.europa.eu│
└─────────────────────────────────────╨───────────────────────────────────────────────────────┘

 

From: European Data Protection Board <[5][EDPB request email]>
Sent: 28 February 2022 15:33
To: Heiko Roth <[6][FOI #10667 email]>
Cc: European Data Protection Board <[7][EDPB request email]>;
[8][email address]
Subject: RE: access to documents request - Working Documents for
Guidelines regarding Art. 48 GDPR

 

Dear Mr. Roth,

 

Thank you for your email.

 

As explained in our previous emails (most recently on 17/02), at the
moment the EDPB Secretariat does not have the resources to handle all of
your requests at the same time (also taking into account other requests
for access to documents submitted by other applicants), within the legal
deadlines foreseen in Regulation 1049/2001.

 

We have therefore informed you that your requests will be handled, one by
one, once we have responded to your three currently ongoing requests
(2022-04, 2022-06 and 2022-08). The respective deadlines for replying to
these three requests are, as already communicated to you, 28/02, 02/03 and
03/03.

 

Once the last of these three requests has been replied to, we will
register your next request in chronological order, unless you indicate a
different priority.

 

Please find below a list of your current pending requests, in
chronological order:

 

Received Request
Recommendations
02/2020 on the
European
Essential
Guarantees for
surveillance
measures. 1.
Documentation
showing why
there was no
19/01/2022 public
consultation.
2. Documents
containing
information
used to prepare
Recommendations
02/2020 (e.g.,
legal opinions,
third-party
comments, own
research).
1 All documents
(e.g.
statements,
expert
opinions, press
reports,
guidelines)
related to the
development of
the above
mentioned
29/01/2022 Guidelines on
Art. 48 GDPR.
2. An
indication of
what the
current
progress is in
the development
of the
above-mentioned
Guidelines on
Art. 48 GDPR
1. Current
overview of all
subgroups of
the EDPB with a
breakdown of
which
authorities of
which EU member
state are
represented in
which subgroup
2. Minutes,
opinions,
statements and
29/01/2022 other documents
that have been
used by the
members of the
ITS since
16.07.2020 in
the context of
the work of the
ITS. 3. 3
Indication of
the
relationship of
the subgroups
to the EDPB
(e.g. advisory
role only).
CEF. 1)
Information,
embodied in
particular in
documents such
as sample
questionnaires
or sampling
parameters,
which provide
information on
how contact and
exchange is or
will be made
with the
'public' bodies
mentioned in
the press
15/02/2022 release as part
of the
coordinated
audit on the
part of the
BfDI 2)
Information, in
particular
embodied in
documents,
which provide
information
about when
exactly the
audit mentioned
in the press
release was or
will be
started.
CEF: 1) )
information,
embodied in
particular in
documents,
indicating
which of the
European
regulators are
meant in both
PR that have
joined the
joint
coordinated
review of cloud
15/02/2022 services in the
public sector.
2) information,
embodied in
particular in
documents,
indicating How
the "75" public
bodies
mentioned in
PR2 were
selected and
which public
bodies they are
in detail (name
of the public
bodies).
Opinion 03/2022
on the draft
decision of the
French
Supervisory
Authority
regarding the
Processor
Binding
Corporate Rules
of the WEBHELP
Group - 1.
Documents
provided to the
EDPB by the
French
regulator or by
the WEBHELP
Group such that
the EDPB has
concluded, as
cited in 1
above, that the
BCRs of the
WEBHELP Group
contain
19/02/2022 "adequate
safeguards" as
defined above
(e.g.,
documents
comparable to a
'Transfer
Impact
Assessment').
2. Beyond the
documents in
2.1, such
documents that
provide
information on
how the EDPB
has arrived at
the assessment
by others that
WEBHELP Group's
BCRs contain
"appropriate
safeguards" as
defined above
(e.g., through
internal legal
opinions of the
EDPB).

 

The next request we intend to register is therefore the one you have sent
on 19/02, regarding European Essential Guarantees. In case you prefer to
have a different request handled first, please let us know this no later
than 2 March end of business.

 

Please note we will contact you separately, via the relevant ask-the-eu
email address regarding any of your requests which require clarifications.

 

We remain available in case of any questions.

 

Best regards

 

EDPB Secretariat

 

 

mostrar partes citadas

European Data Protection Board, Comité Europeo de Protección de Datos

3 Adjuntos

Dear Mr Roth,

 

Your request for information on "the current progress is in the
development of the above-mentioned Guidelines on Art. 48 GDPR" was
transferred to us by our access to documents team. Further to the [1]EDPB
Work Programme 2021/2022 and the mandate received from the [2]plenary, we
would like to kindly inform you that the EDPB recently began preparing
guidance on Article 48 GDPR. As a result, work on this file is currently
ongoing. However, we are not in a position, at this point in time, to
estimate a date for its completion.

 

We trust this answers your query, but please do not hesitate to contact us
in case you have any additional questions.

 

Best regards,

 

The EDPB Secretariat

 

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References

Visible links
1. https://edpb.europa.eu/system/files/2021...
2. https://edpb.europa.eu/system/files/2022...
5. mailto:[EDPB request email]
7. https://www.edpb.europa.eu/

European Data Protection Board, Comité Europeo de Protección de Datos

4 Adjuntos

Dear Mr Roth,

 

Please find enclosed the reply to your request for access to documents
(ref. 2022-32) signed by Mr Ventsislav Karadjov, Vice-Chair of the EDPB.

 

Best regards,

The EDPB Secretariat

 

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│ ║European Data Protection Board │
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References

Visible links
3. https://www.edpb.europa.eu/