On 04/14/2018 10:24 AM, DaKnOb wrote:
As far as IP Addresses go (and domains too), currently GDPR recognizes the 
rights of individuals, not companies, which means that a company can be in the 
whois query, since it does not have the right to privacy.

My understanding is that this will only affect natural persons.

How does this affect a SWIP of a range of IP addresses where a natural person is the one who is the target of the sub-assignment?

Does the GDPR restrict the unlimited publication of abuse@ addresses associated with the IP range, whether for natural person or legal person?

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