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THE PIPA/GDPR CROSSROAD
About the Crosswalk
This is your About page. This space is a great opportunity to give a full background on who you are, what you do and what your site has to offer. Your users are genuinely interested in learning more about you, so don’t be afraid to share personal anecdotes to create a more friendly quality.
Every website has a story, and your visitors want to hear yours. This space is a great opportunity to provide any personal details you want to share with your followers. Include interesting anecdotes and facts to keep readers engaged.
Double click on the text box to start editing your content and make sure to add all the relevant details you want site visitors to know. If you’re a business, talk about how you started and share your professional journey. Explain your core values, your commitment to customers and how you stand out from the crowd. Add a photo, gallery or video for even more engagement.
Crosswalk
PIPA Section | PIPA Section Name | GDPR Article | GDPR Article Name |
---|---|---|---|
18 | Access to medical records | ||
15 | Transfer of personal information to an overseas third party | 47 | Binding corporate rules |
15 | Transfer of personal information to an overseas third party | 42 | Certification |
15 | Transfer of personal information to an overseas third party | 43 | Certification bodies |
15 | Transfer of personal information to an overseas third party | 40 | Codes of conduct |
14 | Breach of security | 34 | Communication of a personal data breach to the data subject |
16 | Personal information about children in the information society | 8 | Conditions applicable to child’s consent in relation to information society services |
6 | Conditions for using personal information | 7 | Conditions for consent |
13 | Security safeguards | 25 | Data protection by design and by default |
15 | Transfer of personal information to an overseas third party | 35 | Data protection impact assessment |
15 | Transfer of personal information to an overseas third party | 49 | Derogations for specific situations |
5 | Responsibility and compliance | 37 | Designation of the data protection officer |
15 | Transfer of personal information to an overseas third party | 44 | General principle for transfers |
9 | Privacy notices | 13 | Information to be provided where personal data are collected from the data subject |
9 | Privacy notices | 14 | Information to be provided where personal data have not been obtained from the data subject |
13 | Security safeguards | 6 | Lawfulness of processing |
10 | Purpose limitation | 6 | Lawfulness of processing |
11 | Proportionality | 6 | Lawfulness of processing |
6 | Conditions for using personal information | 6 | Lawfulness of processing |
14 | Breach of security | 6 | Lawfulness of processing |
15 | Transfer of personal information to an overseas third party | 41 | Monitoring of approved codes of conduct |
19 | Rectification, blocking, erasure and destruction | 19 | Notification obligation regarding rectification or erasure of personal data or restriction of processing |
14 | Breach of security | 33 | Notification of a personal data breach to the supervisory authority |
10 | Purpose limitation | 5 | Principles relating to processing of personal data |
11 | Proportionality | 5 | Principles relating to processing of personal data |
12 | Integrity of personal information | 5 | Principles relating to processing of personal data |
8 | Fairness | 5 | Principles relating to processing of personal data |
8 | Fairness | 5 | Principles relating to processing of personal data |
6 | Conditions for using personal information | 86 | Processing and public access to official documents |
6 | Conditions for using personal information | 88 | Processing in the context of employment |
7 | Sensitive personal information | 10 | Processing of personal data relating to criminal convictions and offences |
6 | Conditions for using personal information | 10 | Processing of personal data relating to criminal convictions and offences |
7 | Sensitive personal information | 9 | Processing of special categories of personal data |
5 | Responsibility and compliance | 28 | Processor |
23 | Communication provider exemption | 95 | Relationship with Directive 2002/58/EC |
5 | Responsibility and compliance | 24 | Responsibility of the controller |
22 | National security exemption | 23 | Restrictions |
17 | Access to personal information | 15 | Right of access by the data subject |
21 | Compensation for financial loss or distress | 82 | Right to compensation and liability |
19 | Rectification, blocking, erasure and destruction | 17 | Right to erasure (‘right to be forgotten’) |
19 | Rectification, blocking, erasure and destruction | 21 | Right to object |
19 | Rectification, blocking, erasure and destruction | 16 | Right to rectification |
10 | Purpose limitation | 89 | Safeguards and derogations relating to processing for archiving purposes in the public interest, scientific or historical research purposes or statistical purposes |
13 | Security safeguards | 32 | Security of processing |
12 | Integrity of personal information | 32 | Security of processing |
15 | Transfer of personal information to an overseas third party | 45 | Transfers on the basis of an adequacy decision |
15 | Transfer of personal information to an overseas third party | 48 | Transfers or disclosures not authorised by Union law |
15 | Transfer of personal information to an overseas third party | 46 | Transfers subject to appropriate safeguards |
20 | Procedure for making a request under section 17, 18 or 19 | 12 | Transparent information, communication and modalities for the exercise of the rights of the data subject |
9 | Privacy notices | 12 | Transparent information, communication and modalities for the exercise of the rights of the data subject |
3 | Application | 99 | Entry into force and application |
3 | Application | 2 | Material scope |
3 | Application | 3 | Territorial scope |
4 | Exclusions | 88 | Processing in the context of employment |
4 | Exclusions | 6 | Lawfulness of processing |
4 | Exclusions | 2 | Material scope |
4 | Exclusions | 85 | Processing and freedom of expression & information |
2 | Interpretation | 4 | Definitions |
5 | Responsibility and compliance | 26 | Join controllers |
5 | Responsibility and compliance | 6 | Lawfulness of processing |
5 | Responsibility and compliance | 5 | Principles relating to processing of personal data |