Hi,
I wonder what other people are doing in relation to describing 'digital footprint' in privacy notices for staff?
I am in the process of revising privacy notice for staff as part of annual review of GDPR. One of the questions that has risen is whether the staff privacy notice should include reference to digital footprint.
For example, we can generate reports on all website visits and usage
We run network tools (for the purpose of security of the network and fault finding) which can show all the files which someone creates, opens, deletes, tries to access
Network tools which show largest files and so on (we use this to help people reduce the 'profile' so they're Active Directory account will load more quickly on log-in).
I am looking at Article 88 here, but it doesn't specifically reference this type of monitoring.
Has anyone else considered this, and how is it being described in privacy notices?
thanks + rgds
Danny
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