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Tietosuoja haltuun harrastustoiminnassa -hankkeen logo, jossa on tietosuojalainsäädäntöön ja lapsiin liittyvä kirjainlyhenne GDPR4CHLDRN. Tietosuoja haltuun harrastustoiminnassa -hankkeen logo, jossa on tietosuojalainsäädäntöön ja lapsiin liittyvä kirjainlyhenne GDPR4CHLDRN.
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  • English
    • Suomi
    • Svenska
    • English
  • Front page
  • Guiding materials
    • Board of the association
    • Coaches and instructors
    • Parents
    • Children and young people
  • Material bank
    • Term bank
    • Quizzes
    • Downloadable materials
    • Data protection icons 
    • Articles
  • Information on the site
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  1. Front page
  2. Board of the association
  3. What obligations does a hobby organiser have in the processing of personal data?
  4. 3. Agree on processing
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Board of the association

  • Starting page
  • Why is the protection of personal data important?
    • 1. Privacy is a fundamental right
    • 2. Sensitive personal data requires particularly careful protection
    • 3. Personal identity codes may only be processed if necessary
  • What roles are involved in processing?
    • 1. The controller is responsible for the processing of personal data
    • 2. A processor acts on behalf of the controller
  • What principles must be observed in the processing of personal data?
    • 1. Take data protection into account from the start and in all circumstances
    • 2. Processing requires a basis
      • 2.1 Legal bases for processing personal data
      • 2.2 Consent requires an indication of the participant's wishes
      • 2.3 Consent from minors
    • 3. Only use personal data for the planned purposes
    • 4. Inform data subjects transparently of the processing of personal data
    • 5. Only process necessary personal data
    • 6. Only process accurate personal data and rectify inaccurate data
    • 7. Ensure the security of processing
    • 8. Define storage periods for personal data and erase unnecessary data
      • 8.1. Storage period
      • 8.2. Storage location
      • 8.3 Erasure 
    • 9. Demonstrate compliance with data protection legislation
  • What obligations does a hobby organiser have in the processing of personal data?
    • 1. Fulfil the participants' data protection rights
    • 2. Describe the hobby organiser's processing of personal data with a record of processing activities
    • 3. Agree on processing
    • 4. Assess the risks and impact of processing
    • 5. Report personal data breaches
    • 6. Only transfer personal data out of the EU if the conditions are met
    • 7. Give people involved in the hobby instructions and training in data protection
    • 8. Manage the life cycle of personal data from planning to collection, storage and erasure
  • What should you take into account when publishing photos and videos?
  • What should you take into account when processing health data in hobby activities?
  • What should you take into account when disclosing personal data in hobby activities? 
  • Annex 1: Consent form - template
  • Annex 2: Comics to inform about data protection

3. Agree on processing

If the hobby organiser uses a third party for the processing of personal data, the organiser must ensure that a written processing agreement is signed with them. Making an agreement ensures that the controller’s obligations will be fulfilled also when the personal data is being processed by a third-party processor on behalf of the hobby organiser.

Before drawing up the agreement, you should define the roles related to the processing: who is the controller and who the processor processing data on behalf of the controller. For example, a payroll clerk who calculates and pays the wages of club employees can be a processor. In this situation, the hobby organiser is the controller, since it determines who receives wages and on what grounds.

The controller can only outsource the processing of personal data to processors that have adequate safeguards in place for ensuring data security.

Example

A judo club uses a third-party IT provider’s ERP system for processing club members’ personal data. The IT provider is the processor of the personal data being processed in the system, while the judo club is the controller. The club makes a written agreement with the IT provider on the processing of personal data in the ERP system so that it can make sure that the IT provider follows the club’s data protection policies and fulfils its obligations related to the processing.

In the agreement, the controller and processor agree on how the processor must process and secure the personal data. The agreement must specify the object and duration of the processing, nature and purpose of the processing, type of personal data and groups of data subjects, as well as the controller’s obligations and rights. The processor must also ensure that its employees with access to the personal data only process it according to the controller’s instructions.

Remember

Draw up processing agreements with third-party processors who are processing personal data on the hobby organiser’s behalf.

2. Describe the hobby organiser's processing of personal data with a record of processing activities
4. Assess the risks and impact of processing
The logo of the Office of the Data Protection Ombudsman.
The logo of TIEKE Finnish Information Society Development Centre.

The European Union flag, with the text "Funded by the European Union" on its right-hand side.

Funded by the European Union. Views and opinions expressed are however those of the author(s) only and do not necessarily reflect those of the European Union or European Commission. Neither the European Union nor the granting authority can be held responsible for them.

Information on the website

The site contains material that provide information on data protection legislation and the protection of personal data, especially for children and young people aged 13–17, their parents, and associations that organise hobby activities. The website has been developed in the GDPR4CHLDRN – Ensuring data protection in hobbies project (2022–2024) implemented by the Office of the Data Protection Ombudsman and TIEKE.

Feedback about the site can be given by e-mail to the address tietosuoja@om.fi. In the message field, you must mention tietosuojaharrastuksissa.fi, so that the feedback is directed to the correct address.

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