GDPR may not apply to distributed r
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Entities operating without a DPO are much more difficult to cope with especially since the GDPR does not contain ... read more Let's stay in touch! Sign up for our newsletter E mail adress or send us an e mail to kSecure Sp. z o. o. ul. Sienna A lok. Warszawa phone + fax + e mail kocure.pl Branch in Bydgoszcz ul. Bydgoskich Przemysłowcy Bydgoszcz phone + We are a member District Court for the Capital City of Warsaw Warsaw in Warsaw th Commercial Division KRS NIP REGON share capital PLN . paid in full. Home Offer Personal data protection Information security audit Telecommunications and postal undertakings Training and Education GDPR GDPR incident reporting About us Team Referral Program.
Customers Knowledge base Blog contact Store Privacy policy Shopp. z o. o De Why GDPR won't kill blockchain and distributed ledger technology Maria Phone Number List Lothamer December Why GDPR won't kill blockchain and distributed ledger technology CATEGORIES Guides GDPR There is an ongoing discussion among specialists who work at the intersection of law and new technologies whether the provisions of the General Data Protection Regulation GDPR are in conflict with the foundations of distributed ledger technologies such as Bitcoin Ethereum or Ripple. . However if we look at the foundations of how distributed registers work it turns out that concerns about GDPR are unfounded.
Moreover in many cases the provisions of the egisters at all . Michał Sztąberek together with Magda Borowik Director of Research and Technology at the FinTech Polska foundation and advisor to the Minister of Digitization for transaction technologies prepared an article that debunks myths about the alleged contradiction between GDPR and distributed ledger technology. The entire text can be read at this link on the new technology business website blrasinsm . We will only share a summary of the findings here. In the case of many distributed ledgers GDPR provisions probably should not be applied at all either due to the lack of personal data or the domestic or personal nature of the use of the system. In the cases of distributed ledgers known to us the right to be forgotten is not a barrier because the register lacks personal data and additionally as these are registers of transactional events the right to be forgotten does not apply.
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