On 2018-05-04 20:55, Wolfgang Lenerz via Ql-Users wrote:
Hi,
Possibly true - although if an IP address can be classified as
personal data or a factor specific to the identity of that natural
person, I am sure an email address can be. I forget all of the
mailing list commands, but there
Hi,
Possibly true - although if an IP address can be classified as personal
data or a factor specific to the identity of that natural person, I am
sure an email address can be. I forget all of the mailing list
commands, but there used to be one where you could get a list of email
On 2018-05-04 20:35, Wolfgang Lenerz via Ql-Users wrote:
Hi,
Article 30, section 5:
"5. The obligations referred to in paragraphs 1 and 2 shall not apply
to an enterprise or an organisation employing fewer than 250 persons
unless the processing it carries out is likely to result in a risk to
Hi,
Article 30, section 5:
"5. The obligations referred to in paragraphs 1 and 2 shall not apply
to an enterprise or an organisation employing fewer than 250 persons
unless the processing it carries out is likely to result in a risk to
the rights and freedoms of data subjects, the processing
On 04/05/2018 17:23, Marcel Kilgus via Ql-Users wrote:
Article 30, section 5:
"5. The obligations referred to in paragraphs 1 and 2 shall not apply
to an enterprise or an organisation employing fewer than 250 persons
unless the processing it carries out is likely to result in a risk to
the
Rich Mellor via Ql-Users wrote:
> With the new GDPR legislation coming in on 25th May - how will the
> mailing list cope with this?
Article 30, section 5:
"5. The obligations referred to in paragraphs 1 and 2 shall not apply
to an enterprise or an organisation employing fewer than 250 persons