I haven't checked against the current Notification requirements but the guidance produced by White and Case in 2016 on the Regulation includes the following commentary in relation to Article 30:
"The GDPR does
away with the
requirement to
notify DPAs
regarding an
organisation's
processing
activities. However,
in effect, the
information that
would have been
included in such a
registration is
simply recorded by
the controller (or its
representative) for
disclosure to the
DPA upon request.
Consequently, the
obligation on
organisations to
identify and record
their data
processing
activities does not
materially change."
Bird & Bird in their Guidance comment that
'Organisations are obliged to keep a record of their processing
activities (the type of data processed, the purposes for
which it is used etc) similar to that which under current laws
controllers are required to register with DPAs.'
Recital 82 doesn't throw any light on the issue.
regards
Stephen Williams
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