I think most of my analysis at http://igwales.com/?p=45 still stands although some of the consequences will have changed e.g. not now a criminal offence if fail to register unless enforcement notice is issued and ignored.
With the additional liabilities on processors under GDPR it is perhaps even more important to clearly work out the roles, ensure joint responsibilities are agreed under Art 26, and processing agreements in place under Art 28.
I just tried to search register to see how many and if there was an increase on my previous snapshot - unfortunately ICO website down again ...
Would be interested to know if those that have registered have got away with a Tier 1 fee or whether ICO aggregates the staff and turnover of the 'partners' as they would with a commercial partnership ...
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