Unknown – €2,250 Fine (Croatia, 2024)
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.
The Croatian DPA (AZOP) has imposed seven fines totaling EUR 16,000 on data controllers for failing to adequately mark video-monitored areas. This lack of marking resulted in people entering these areas not being informed of the surveillance, as the signs were either not visible on entry or did not contain all the necessary information. The fines ranged from EUR 500 to 4,000 and were imposed on various establishments, including hotels, restaurants, and shops. According to Art. 27 (1) of the Law on the Implementation of the General Data Protection Regulation, it is the responsibility of data controllers to ensure that areas under video surveillance are clearly marked. These signs must be visible to individuals at the latest when entering the surveillance perimeter. Furthermore, according to Paragraph 2 of the same article, the signs must contain all relevant information as stipulated in Art. 13 GDPR. This especially includes informing individuals that the area is under video surveillance, providing details about the data controller, and offering contact information through which individuals can exercise their data protection rights.
GDPR Articles Cited
The Croatian DPA (AZOP) has imposed seven fines totaling EUR 16,000 on data controllers for failing to adequately mark video-monitored areas. This lack of marking resulted in people entering these areas not being informed of the surveillance, as the signs were either not visible on entry or did not contain all the necessary information. The fines ranged from EUR 500 to 4,000 and were imposed on various establishments, including hotels, restaurants, and shops. According to Art. 27 (1) of the Law on the Implementation of the General Data Protection Regulation, it is the responsibility of data controllers to ensure that areas under video surveillance are clearly marked. These signs must be visible to individuals at the latest when entering the surveillance perimeter. Furthermore, according to Paragraph 2 of the same article, the signs must contain all relevant information as stipulated in Art. 13 GDPR. This especially includes informing individuals that the area is under video surveillance, providing details about the data controller, and offering contact information through which individuals can exercise their data protection rights.
Related Enforcement Actions (0)
No other enforcement actions found for Unknown in HR
This is the only recorded action for this entity in this jurisdiction.
Details
Fine Date
22 April 2024
Authority
Agencija za zaštitu osobnih podataka
Fine Amount
€2,250
Enforcement Tracker ID
ETid-2303
About this data
Cite as: Cookie Fines. Unknown - Croatia (2024). Retrieved from cookiefines.eu
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