Looking again at BIP 0002 it would appear that Principle 1 DPA may often
supply the legal rules which apply restrictions. The publication actually
uses the electoral register as an example - maybe its subliminal
rememberance that I also did so :-))
BIP 0002 discusses whether data subjects might anticipate that their data
might be used for testing - i.e. whether that purpose is obvious or whether
data subjects need to be informed before the processing takes place.
I would commend the BIP 0002 publication to anyone wrestling with this
problem (I have no connection with BSI other than as an employee of a
customer).
Regards,
Graham
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