Chris
Hear, hear! But that does mean you have to treat all the other justifications for processing as first-class citizens; unlike some member states, Commissioners and others, who continue to insist on "everything by consent" :(
The Art29 Opinion on Legitimate Interests actually puts it quite nicely. My précis is that if you are stretching the definition of the justification, then you're probably also stretching the protection that that justification provides. So you actually get better protection if you use the right justification and apply the controls that were designed for it.
Andrew
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> -----Original Message-----
> From: This list is for those interested in Data Protection issues
> [mailto:[log in to unmask]] On Behalf Of Chris Pounder
> Sent: 19 June 2014 08:40
> To: [log in to unmask]
> Subject: FW: Hawktalk: Why the European Parliament view of data subject
> "consent" should be supported.
>
> Why the European Parliament view of data subject "consent" should be
> supported.
>
> Just published on Hawktalk: http://amberhawk.typepad.com/amberhawk/
> <http://amberhawk.typepad.com/amberhawk/>
>
> I have been rather ambivalent about the debate about consent in the
> Directive 95/46/EC and the proposed replacement Regulation (if it
> happens). However the antics of the Health Insurance Industry in the UK
> in relation to subject access have convinced me that the European
> Parliament's approach towards consent needs supporting...
>
> If interested, go to blog
>
>
>
>
>
> Dr. C. N. M. Pounder
>
> Director: Amberhawk Training Limited and Amberhawk Associates
>
> Phone: 0845 680 2623 or Mob: 07735 365 585
>
> Website: Amberhawk - www.amberhawk.com <http://www.amberhawk.com/>
>
> Blog: Hawktalk - http://amberhawk.typepad.com
> <http://amberhawk.typepad.com/>
>
> Twitter:@hawktalk_blog
>
>
>
>
>
>
>
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