I have a specific question. If the controller is based in the UK but has
staff processing data in a number of EU countries, is one notification in
the UK sufficient? Presumably notification in each country isn't required?
Gail Waters
> -----Original Message-----
> From: Alasdair Warwood [SMTP:[log in to unmask]]
> Sent: 21 May 2000 14:52
> To: Hodgetts, Jonathan; [log in to unmask]
> Subject: Re: Comparison of Countries Legislation
>
> Ref the below I too would welcome a copy of such a document
> Alasdair Warwood
>
> ----------
> > From: Hodgetts, Jonathan <[log in to unmask]>
> > To: [log in to unmask]
> > Subject: Comparison of Countries Legislation
> > Date: 19 May 2000 18:16
> >
> > Does anyone know of a document comparing the differences to European
> > Countries Data Protection legislation in response to the EU Directive?
> >
> > If one is available, I would appreciate a copy.
> >
> > Thank you.
> >
> > Jonathan Hodgetts
> > Information Security Manager
> > MCPS-PRS Alliance
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