Nestor SAS – €20,000 Fine (France, 2020)

€20,000Commission Nationale de l'Informatique et des Libertés8 December 2020France
final
Fine

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.

Nestor SAS was fined for sending marketing emails without consent and failing to provide requested personal data. Many people received unwanted emails, and the company did not respond to requests for information. This case stresses the need for businesses to respect user consent and data access rights.

What happened

Nestor SAS sent commercial emails to individuals who had not given consent and ignored requests for personal data.

Who was affected

Individuals who received unsolicited marketing emails from Nestor SAS and those who requested their personal data.

What the authority found

The French data protection authority ruled that Nestor SAS violated data protection rules by not obtaining consent and failing to provide information to users.

Why this matters

This case underscores the importance of obtaining consent before sending marketing communications. Businesses must ensure they respect users' rights to access their personal data and comply with data protection regulations.

GDPR Articles Cited

Art. 12 GDPR
Art. 13 GDPR
Art. 32 GDPR
Art. 82 Loi Informatique et Libertés GDPR
Art. 12(4) GDPR
Art. 15(1) GDPR
Art. 15(3) GDPR

National Law Articles

Article 20 III loi no 78-17 du 6 janvier 1978 relative à l'informatique, aux fichiers et aux libertés
Article 8 loi no 78-17 du 6 janvier 1978 relative à l'informatique, aux fichiers et aux libertés
Article L. 34-5 Code des postes et des communications électroniques
Full Legal Summary
Detailed

Nestor SAS, founded in 2015, provides a service of prepared and delivered meals to office employees which order these on their website. It was subject to various complaints over time. In November 2018 and January 2019, CNIL received four complaints from people that were not clients, indicating that they had received commercial emails despite having never provided their consent. Additionally, another complainant outlined that it is particularly difficult to object to the processing of personal data for commercial emailing purposes. Some complainants received emails despite having unsubscribed to the mailing list. Another two complainants attempted to get a copy of their personal data from Nestor, without success. Nestor did not either respond to requests asking information about the purpose of processing, the duration of processing or their source. The CNIL also conducted a investigation of the Nestor website and app in May 2019. This was performed to check its compliance with the GDPR and the French national data protection law 1978 as amended (loi n°78-17 du 6 janvier 1978 modifiée relative à l’informatique, aux fichiers et aux libertés). CNIL did this again in February 2020. The CNIL also inspected the company's headquarters in May 2019. CNIL continued its investigation in June and September 2019 by requiring further information on the legal basis for processing data, the right to object and the duration of processing of personal data. There were four key material law questions: *Did Nestor violate Article L. 34-5 of the Postal and Electronic Communication law (Code des postes et des communications électroniques) by sending commercial emails without consent? *Did Nestor fail to provide sufficient information to the data subject at the moment of collecting their personal data in violation of Articles 12 and 13 GDPR? *Did Nestor fail to respect the exercises of the right of access in violation of Article 15 GDPR? *Did Nestor fail to satisfy the obligation of s

Violations (1)

Cookies Placed Before Consent
critical

Non-essential cookies (tracking, advertising) are placed on the user's device before obtaining valid consent.

Art. 6(1) GDPR

Related Enforcement Actions (0)

No other enforcement actions found for Nestor SAS in FR

This is the only recorded action for this entity in this jurisdiction.

Details

Fine Date

8 December 2020

Authority

Commission Nationale de l'Informatique et des Libertés

Fine Amount

€20,000

Enforcement Tracker ID

ETid-511

GDPRhub ID

gdprhub-3045

About this data

Data: GDPRhub (noyb.eu)
Licensed under CC BY-NC-SA 4.0
AI-verified and classified

Cite as: Cookie Fines. Nestor SAS - France (2020). Retrieved from cookiefines.eu

Report Inaccuracy

Last updated: