CAK โ Complaint Upheld (Netherlands, 2022)
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 Dutch privacy authority reprimanded CAK for not responding quickly enough to a person's request for their data. CAK took too long to provide the requested information, which is against GDPR rules. This case highlights the importance of timely responses to data access requests.
What happened
CAK delayed in responding to a person's request for access to their data.
Who was affected
A person who requested access to their personal data from CAK.
What the authority found
The Dutch privacy authority found that CAK violated GDPR by not responding to the data access request within the required timeframe.
Why this matters
This decision underscores the necessity for companies to respond promptly to data access requests under GDPR. Businesses should ensure they have processes in place to meet these deadlines to avoid reprimands.
GDPR Articles Cited
On 3 January 2020 the data subject asked for data access. CAK requested additional information on 15 January 2020, which was provided the same day. The data subject then filed a complaint with the AP on 15 February 2020. On 25 March 2020 CAK sent a formal decision together with an overview of the requested data. The AP reprimands the CAK for the violation of Article 12, paragraph 3 of the GDPR.
Outcome
Complaint Upheld
A data subject complaint that was upheld by the DPA.
Related Enforcement Actions (0)
No other enforcement actions found for CAK in NL
This is the only recorded action for this entity in this jurisdiction.
Details
About this data
Cite as: Cookie Fines. CAK - Netherlands (2022). Retrieved from cookiefines.eu
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