On the 20th of June 2023 the European Data Protection Board (EDPB) adopt the recommendations 01/2022 on the application for approval and on the elements and principles to be found in the Controller Binding Corporate Rules Update of the Application for.
The decision to update some of the principles and guidelines to. Obtain an approval of the BCRs by corporate groups acting as data controllers was mainly derived from. The game-changing decision in also other requirements that the corporate group shall take into account when applying for BCR-C approval.
Updates to the application form Update of the Application for
The Application form structure has been sensitively simplifibut the main elements to be outlin in order to present an application for BCR-C approval are still there. Applicant information, short description of processing and data flows as well as the determination of the lead supervisory authority (‘BCR lead’). However, singapore business fax list there is an interesting final section, so call cknowledgment”
Updates to the elements and principles Update of the Application for
The main elements that can be identifi as critical updates of the new BCRs referential are the following:
Binding nature of the BCR-C
intragroup agreement or a unilateral declaration provided. That specific requirements to demonstrate responsibility and bear liability are met, if you want to be successful or other means proving the binding character.
Third-party beneficiary rights, rights to judicial remedies,
Finally, BCR members established in the. EEA have such responsibility and liability, marketing list and where sufficient and adequate assurances are provided. This alternative should always presume appropriate information rights to the data subjects including the possibility to enforce their rights.