A lot of this helmet cam and dash cam footage ends up on youtube, for the purpose of shaming bad drivers... (which also brings back into play your Lindqvist double-whammy, of course)
-----Original Message-----
From: This list is for those interested in Data Protection issues [mailto:[log in to unmask]] On Behalf Of Chris Pounder
Sent: 16 December 2014 09:58
To: [log in to unmask]
Subject: [data-protection] Hawktalk: implications of the ECJ Ryneš ruling for the Domestic Purpose exemption
I looked carefully at Section 17(3) before doing the blog.
S.17(3) states that processing of a particular description is unlikely to prejudice the rights and freedoms of data subjects, notification regulations may provide that, in such cases as may be prescribed, subsection (1) is not to apply in relation to processing of that description (i.e. an exemption can be prescribed).
If a cyclist has a helmet cam or a motorist has a car dash cam and the purpose of the processing is to find out what happened (e.g. with an accident).
I don't see that as prejudicing the rights and freedoms of data subjects as it might clear them of any blame! I think with a careful consideration of the purpose of the processing, then an exemption from notification can be framed.
C
-----Original Message-----
From: This list is for those interested in Data Protection issues [mailto:[log in to unmask]] On Behalf Of Phil Bradshaw
Sent: 16 December 2014 09:40
To: [log in to unmask]
Subject: Re: [data-protection] FW: Hawktalk: implications of the ECJ Ryneš ruling for the Domestic Purpose exemption
For an alternative view of whether Ryneš could be extended to cover cyclists' helmet cams or car dash cams - and unusually I tend to disagree with Chris on this rare occasion - see http://igwales.com/?p=50 . I also have doubts as to whether offending CCTV can be exempted from the need to notify as a result of Ryneš by regulation , without amending the primary legislation in s17(3) DPA
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