This article looks at pseudonymisation under GDPR and cases when pseudonomysed data can be treated as anonymous data. Authors argue that the definition of pseudonymisation in Article 4(5) GDPR will not expand the category of personal data, and that there is no intention that it should do so. There may also be circumstances in which data which have undergone pseudonymisation within one organisation could be anonymous for a third party.
EDPB Publishes 2023 Annual Report
The EDPB's 2023 Annual Report highlights key achievements in data protection law, including the adoption of binding decisions and outreach […]