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Do you know what 675/96 is?

We do. In fact, our consultants have been working on the protection of personal data since before Law No. 675 of 31 December 1996 came into force. In fact, since 1995 our staff has been providing advice and training on information security, IT security, personal data processing, privacy in the broadest sense.

We have supported companies in the implementation of the Law No 675 of 31 December 1996, then of Legislative Decree No 196 of 30 June 2003, and today in the application of the Regulation (EU) 2016/679 better known as GDPR.

Protection by Design and by Default

Article 25(1) of the GDPR provides that the controller must take Data Protection by Design and by Default into account when planning a new processing operation. Thanks to a system and process approach, we help companies and public administrations to implement Data Protection by Design and by Default before processing and then constantly during processing, regularly checking the effectiveness of the measures and guarantees identified.

DPO/RDP Data Protection Officer

Not all DPOs/RDPs are the same. The figure of the Data Protection Officer is important for companies in which there is an obligation to establish this figure with reference to the characteristics and purposes of the processing of personal data; Our organization offers a quality DPO/RDP service that meets the legal requirements.

You do not know if you have an obligation to appoint the DPO/RDP Data Protection Officer. No problem. Request a free assessment of your organization's GDPR compliance status; you will know what mandatory requirements are laid down for the treatments present and only after you continue to decide whether to entrust us with the task or not.

You've already done everything for privacy. Are you sure?

You have already done everything for the obligations regarding the processing of personal data and compliance with the GDPR; That's great, but the fact that you're visiting this page could mean that you have some doubts about the result.

Most of the organizations who declare that they are in compliance with the rules on the processing of personal data, would not pass the verification by the Privacy Guarantor.

Ask us for a verification audit, costs significantly less than the penalty of the Privacy Guarantor.

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