Titanium package - non-sensitive data
This package is for larger companies and international organisations with many customers or subscribers in the EU, giving you confidence in DPR Group’s robust and vigilant approach to their appointment as Data Protection Representative.
Includes 100 FREE data request communications. Additional communications at €20 per communication.
- You hold or process the personal data of not more than 100,000 individuals in the EU
- IF YOU HOLD DATA OF MORE THAN 100,000 INDIVIDUALS, PLEASE CONTACT US AT email@example.com FOR A BESPOKE QUOTE
- You do not process any sensitive data ("data revealing racial or ethnic origin, political opinions, religious or philosophical beliefs, or trade-union membership, and the processing of genetic data, biometric data for the purpose of uniquely identifying a natural person, data concerning health or data concerning a natural person's sex life or sexual orientation" (Article 9(1) of GDPR))
AND... as well as our usual excellent Representative service, we also include the 'Bespoke Inquiry Landing Page and Email address' product at no extra cost with this Package, click here for more information.
RETURN & REFUND POLICY
DPR Group does not provide refunds or cancellaltions other than in the case of proven mistake (e.g. purchase of the incorrect product for the purchaser's company size).
All documentation and communications will be provided electronically, and DPR Group will generally not provide physical certificates or documentation, nor will they enter into physical correspondence, except with a data subject at their request.
TERMS & CONDITIONS
Please ensure your organisation meets the relevant requirements for this product (number of data subjects, whether sensitive data is processed) as reporting this information incorrectly may invalidate the appointment of DPR Group as your Data Protection Representative. Full terms and conditions available at www.dpr.eu.com/legal-privacy.
Organisations purchasing this product must not, in the last 3 years, have: (a) had a data breach which would require reporting to a supervisory authority in the EU as a result of Article 33 of GDPR, or which would have required reporting if GDPR had applied to the personal data which was the subject of such a breach, or (b) been found by a competent authority in any jurisdiction to be in breach of GDPR or any other data protection law, or has been investigated by such authority in respect of a potential breach such law. If this is not the case, please contact us at firstname.lastname@example.org to discuss.