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Whilst everyone is focussing on the Safe Harbor judgement, has anyone had a think about any potential fall out of the Bara judgement for those of us in the public sector, particularly for retrospective sharing?

Anyone any idea what constitutes having 'told' someone we will share there data. Is a (detailed, layered) FPN on a website adequate??

Anyone have any concerns about Information Sharing Agreements, and where we are joint controllers or data controllers in common, will we have to evidence some monitoring of our partners to ensure THEY gave adequate notice? 

Thanks

Lynn

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