ASOCIACIÓN DE VIGILANTES DE SEGURIDAD DEL AEROPUERTO DE BARCELONA – €1,800 Fine (Spain, 2020)
General GDPR enforcement action
This case relates to broader data protection obligations, not specifically to cookie or consent banner compliance. It is not included in cookie statistics or the Risk Calculator.
A Spanish trade union representative shared a list of workers' private phone numbers in a WhatsApp group without consent. The Spanish Data Protection Agency fined the union for breaching confidentiality rules. This case shows the importance of keeping personal data private, even in workplace settings.
What happened
A trade union representative shared workers' private phone numbers in a WhatsApp group without their consent.
Who was affected
Workers whose private phone numbers were shared without their consent in a WhatsApp group.
What the authority found
The Spanish DPA found that sharing the phone numbers without consent violated GDPR's confidentiality requirements.
Why this matters
This case emphasizes that even non-intentional breaches of confidentiality can lead to fines. It serves as a reminder for organizations to handle personal data carefully and ensure proper consent is obtained before sharing.
GDPR Articles Cited
National Law Articles
A member of the trade union representation committee distributed a census of the workers through a WhatsApp group, in which there were private non-corporate phones. The data controller claimed that he did this so that employees could check whether their data were correct. A worker, whose data had been disseminated in this way, complained to the Spanish DPA that the confidentiality of the processing had been breached. Does the distribution of the census of workers through a Whatsapp group constitute a violation of Article 5 (1) (f) GDPR? The Spanish DPA held that were clear indications that the defendant infringed Article 5 (1) (f) GDPR, principles relating to processing with the duty of confidentiality. This duty of confidentiality, previously a duty of secrecy, does have the purpose to prevent the leakage of data that is not consented to by the holders of the same. Therefore, this duty of confidentiality is an obligation that does not only to the person responsible for and in charge of the processing but to anyone who any phase of the treatment and complementary to the duty of professional secrecy. The fact that it was a non-intentional negligent action, that basic personal identifiers were affected, and that no subsequent prevention measures were carried out of the infringement was considered aggravating factors, determining the amount of the fine in €3000. This amount was reduced by the person responsible for benefiting from the corresponding legal reductions.
Related Enforcement Actions (0)
No other enforcement actions found for ASOCIACIÓN DE VIGILANTES DE SEGURIDAD DEL AEROPUERTO DE BARCELONA in ES
This is the only recorded action for this entity in this jurisdiction.
Details
Fine Date
6 August 2020
Authority
Agencia Española de Protección de Datos
Fine Amount
€1,800
GDPRhub ID
gdprhub-2713About this data
Cite as: Cookie Fines. ASOCIACIÓN DE VIGILANTES DE SEGURIDAD DEL AEROPUERTO DE BARCELONA - Spain (2020). Retrieved from cookiefines.eu
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