Well I suppose it depends on what you mean by a 'DPIA'.
In my current organisation we are keen to do as few DPIA's as possible. Most proposals & changes are patently clearly not high risk within context.
That does not mean we do not (a) screen to see if a full DPIA is required and (b) assess and record GDPR compliance through the Asset Register, system accreditation and R30 documentation.
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