Post by juthi52943 on Jan 4, 2024 6:55:34 GMT
The GDPR and the finding of a breach of the Plaintiffs personal data by the defendant company. On February , , an employee of the defendant Company, due to an error, sent to one of the companys clients by email a file with an attachment a financial document containing personal data of other clients, including the Plaintiffs personal data. This file contained the clients personal data, including name, surname, PESEL number, address, data of the contract concluded with the Compan.
An a list of all financial and accounting documents issued in connection Job Function Email List with the contract. The defendant company learned about the employees error on April , , in a letter from a client other than the Plaintiff MS, who received the abovementioned file by email. data. An MS client asked the Company whether it should submit its data to the appropriate authorities. The defendant company, immediately after becoming aware of the mistaken disclosure of customers personal data to an unauthorized person MS.
A submitted a report of a personal data protection breach to the President of the Personal Data Protection Office. At the same time, the Company sent a notice of personal data protection breach to its customers, including the Plaintiff BN, which indicated, among other things, what data had been disclosed, what security measures customers could take to prevent the negative effects of the breach and what possible consequences would arise. may result from the data being made available to an unauthorized person.
An a list of all financial and accounting documents issued in connection Job Function Email List with the contract. The defendant company learned about the employees error on April , , in a letter from a client other than the Plaintiff MS, who received the abovementioned file by email. data. An MS client asked the Company whether it should submit its data to the appropriate authorities. The defendant company, immediately after becoming aware of the mistaken disclosure of customers personal data to an unauthorized person MS.
A submitted a report of a personal data protection breach to the President of the Personal Data Protection Office. At the same time, the Company sent a notice of personal data protection breach to its customers, including the Plaintiff BN, which indicated, among other things, what data had been disclosed, what security measures customers could take to prevent the negative effects of the breach and what possible consequences would arise. may result from the data being made available to an unauthorized person.