ARTICLE
23 February 2024

Proposed Fine Against Danish Hospital For Failure To Supervise Data Processors

AP
Arnold & Porter

Contributor

Arnold & Porter is a firm of more than 1,000 lawyers, providing sophisticated litigation and transactional capabilities, renowned regulatory experience and market-leading multidisciplinary practices in the life sciences and financial services industries. Our global reach, experience and deep knowledge allow us to work across geographic, cultural, technological and ideological borders.
On 1 February 2024, the Danish Data Protection Agency announced that it reported the private hospital HP Gildhøj Privathospital ApS's (Capio A/S) to the Danish police...
United States Privacy
To print this article, all you need is to be registered or login on Mondaq.com.

On 1 February 2024, the Danish Data Protection Agency announced that it reported the private hospital HP Gildhøj Privathospital ApS's (Capio A/S) to the Danish police and recommended imposing a fine of not less than DKK 1,500,000 (over 200.000 euros). In their investigation, the Danish Data Protection Agency found that the hospital had failed to effectively supervise the data processors they used for the processing of large amounts of patients' sensitive personal data.

Facts: The investigation found that three randomly selected data processors engaged by Capio A/S had not, for several years, been supervised by the hospital as to whether these processors comply with the GDPR requirements outlined in the data protection agreements with those processors.

Why is this important: This enforcement action highlights that the data protection authorities in the EU are actively focussing on the way data controllers effectively control and supervise how their data processors comply with the GDPR. Based on the available information, it appears that the actions taken by the Danish Data Protection authority emphasise that effective supervision of data processors goes beyond entering into a data protection agreement and requires active post-signing monitoring, including the audits explicitly provided for in the GDPR.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

We operate a free-to-view policy, asking only that you register in order to read all of our content. Please login or register to view the rest of this article.

ARTICLE
23 February 2024

Proposed Fine Against Danish Hospital For Failure To Supervise Data Processors

United States Privacy

Contributor

Arnold & Porter is a firm of more than 1,000 lawyers, providing sophisticated litigation and transactional capabilities, renowned regulatory experience and market-leading multidisciplinary practices in the life sciences and financial services industries. Our global reach, experience and deep knowledge allow us to work across geographic, cultural, technological and ideological borders.
See More Popular Content From

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More