Filers who named this exact article number in their own text. It is their sentence, not our reading — and not a causal claim.
| Who | Country | What they wrote |
|---|---|---|
| ANITEC-ASSINFORM | IT | t for various purposes. In terms of tools (e.g. register models, software, modules, etc.). 4) Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed ↗ |
| The Information Technology Industry Council (ITI) | US | States. 3 III. Application of the GDPR to SMEs N/A IV. Use of representative actions under Article 80 GDPR N/A V. Experience with Data Protection Authorities DPAs have generally taken an overly narrow and at times conflicting interpretation of the GDPR in tens ↗ |
| EuroISPA (European Internet Services Providers Association) | BE | on the same matter under Article 80 GDPR should be avoided through harmonisation of domestic procedures. b. N/A 5. Experience with Data Protection Authorities (DPAs) a. What is your experience in obtaining advice from DPAs? b. How are the guidelines adopted so ↗ |
| ISPA-Internet Service Provdiers Austria | AT | gations under the GDPR o Provision of checklists and more guidance by national authorities 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representativeactions being filed against yo ↗ |
| Observatorio Internacional de Derechos Humanos del Ilustre y Nacional Colegio de Abogados de México | ME | rts. 19 y 20, Ley 3/2016, de 2 de mayo de Protecció n de Datos Personales de las P ersonas Fís sicas). • República Dominicana (art. 80 de la Ley No 172-13, de 13 de diciembre de 2013, sobre Protecció n de Datos de Carác cter Personal). • Uruguay (art. 23 ↗ |
| Politiscope | HR | resources offered by the DPA so they would benefit from investing in marketing activities. 4. Use of representative actions under Article 80 GDPR b. Have you filed representative actions in any Member State (please specify: complaint to DPA or to court, claim ↗ |
| BDI e.V. (Federation of German Industries) | DE | e for SMEs to be considered is that the licensing cost of such tools could be prohibitive. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| University of Padova | IT | niversità, in particolare con riferimento alle iniziative di terza missione). 5. Utilizzo di azioni rappresentative ai sensi dell'articolo 80 del GDPR 5.b In che modo le linee guida adottate finora dall'EDPB supportano l'applicazione pratica del GDPR? Si tratt ↗ |
| German Insurance Association | DE | hat additional tools would be helpful to assist SMEs in their application of the GDPR? N/A 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| Bitkom e.V. | DE | mechanisms in 2023 is expected to reshape this landscape, potentially leading to a more extensive application of Art. 80 in the coming years. The careful application of requirements for entities bringing such actions becomes paramount to prevent vexatious clai ↗ |
| Council of the Notariats of the EU | BE | se or adhere to in order to prevent developing and maintaining these documents themselves. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| Asociación Española de Economía Digital (Adigital) | ES | cross the Member States so that all of them benefit from an equal level of best practices. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against ↗ |
| Shoosmiths LLP | GB | nt of the DSAR obligations would also assist SMEs which are consumer-facing organisations. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| ACT | The App Association | BE | s could take the form of risk assessment tools, templates, and checklists for IT security. 4. Use of representative actions under Article 80 GDPR From the controllers and processors’ perspective: are you aware of representative actions being filed against your ↗ |
| EDRi European Digital Rights | ES | hat additional tools would be helpful to assist SMEs in their application of the GDPR? N/A 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| French Association of Large Companies (AFEP) | FR | the exercise of data subject rights by children? NA 3. Application of the GDPR to SMEs NA 4. Use of representative actions under Article 80 GDPR NA 5 GDPR evaluation – 2024 report – February 2024 5. Experience with Data Protection Authorities AFEP member comp ↗ |
| FEBIS | DE | c. What additional tools would be helpful to assist SMEs in their application of the GDPR? 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| European Association for the Consumption-based Billing of Energy Costs | BE | with sample templates (such as standard contract clauses) would be helpful to assist SMEs. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| Bundessteuerberaterkammer | DE | ichen Tools wären hilfreich, um KMU bei der Anwendung der DSGVO zu unterstützen? Keine Angaben 4. Einsatz von Verbandsklagen nach Art. 80 DSGVO Keine Erfahrungen Seite 4 4 a. Aus Sicht der Verantwortlichen und Auftragsverarbeiter: Sind Ihnen Verbandsklagen bek ↗ |
| Telefonica, S.A. | ES | at additional tools would be helpful to assist SMEs in their application of the GDPR? N/A. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| Advocaat, Nederland | NL | andere taalversies: namelijk dat lidstaten de mogelijkheid hebben om organisaties niet toe te staan schadevergoeding op grond van Art. 80 te vorderen zonder opdracht van de betrokkene, daarmee de mogelijkheid openlatend dat dit in beginsel mogelijk zou moeten ↗ |
| European Tech Alliance | BE | forestall redundant actions, and ease the administrative strain on local courts and companies stemming from numerous claims under Article 80 of the GDPR concerning the same issue, we propose considering a more consistent approach between Member States. Experie ↗ |
| United Internet | DE | c. What additional tools would be helpful to assist SMEs in their application of the GDPR? 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| Homo Digitalis | EL | under the Treaty of Functioning of the European Union article 15 and the United Nations Charter article 71. The provision of GDPR article 80 para 2 provides an extra means of protections for the rights of individuals. While several major campaigns have been us ↗ |
| Federation of Austrian Industries | AT | e, the national Data Protection Authorities should provide and publish adequate resources. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| AUSTRIAN FEDERAL ECONOMIC CHAMBER | AT | (such as any company that looks after customers or employs employees regularly) is needed. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| Insurance Ireland | IE | hat additional tools would be helpful to assist SMEs in their application of the GDPR? N/A 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| Privacy Company | NL | s, and the lack of enforcement, SMEs are insufficiently encouraged to comply with the law. 4. Use of representative actions under Article 80 GDPR a. From the controllers and processors’ perspective: are you aware of representative actions being filed against y ↗ |
| noyb | AT | ome SAs request additional documentation with regard to the representation of data subjects by not-for-profit organisations under Art. 80(1) GDPR. Not only a representation agreement is requested to be filed in the country's official language but also a proof ↗ |
| BEUC - The European Consumer Organisation | BE | authority to address the complaints, requested data about our Norwegian member to establish that it fits the criteria laid out in article 80 GDPR. Our members were also asked 5 https://edpb.europa.eu/system/files/2022-10/edpb_letter_out2022- 0069_to_the_eu_com ↗ |
Source: public consultation submissions and position papers. n = 36 mentions; counted as a literal reference to the article number.