Happy to be shot down in flames on this one - and understand this situation is still in flux, pending the final decisions on the UK exiting the EU, have just read the EU briefing released on the 19/12.
In this, the bit on data protection starts with:
In the case of a no deal scenario, as of the withdrawal date, the transfer of personal data to the United Kingdom will become subject to the rules on international transfers in application of the General Data Protection Regulation (EU) 2016/679, Directive (EU) 2016/680 for the law enforcement sector and Regulation (EC) 45/200133 for the institutions and bodies of the European Union.
To me, this means we (as an organisation) may have to consider contractual clauses and/or BCR for companies who's applications we use where the data is stored in an EU data centre... so, for example, our IT call logging software data is held in a data centre in the Netherlands. It's fine for us to push data to it - but where do we stand on retrieving that data for day to day usage within the application (let alone for dashboards/reports0
Am I over-complicating the issue? Am I completely off-track???
It's almost Christmas - and I'm personally picking this up again after the xmas break - but would welcome thoughts about implications, suggestions as to where we should be going next, a life-time supply of tissues to mop up the tears of my data-team... the usual.
Seasons greetings all!
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