Data Protection in South Korea

Definitions in South Korea

Definition of personal data

Under the PIPA, “personal information” means information relating to a living individual that constitutes any of the following:

  1. Information that identifies a particular individual by his / her full name, resident registration number, image, etc.;
  2. Information which, even if by itself does not identify a particular individual, may be easily combined with other information to identify a particular individual (in this case, whether or not there is ease of combination shall be determined by reasonably considering the time, cost, technology, etc. used to identify the individual such as likelihood that the other information can be procured);
  3. Information under items (a) or (b) above that is pseudonymised in accordance with the relevant provisions and thereby becomes incapable of identifying a particular individual without the use or combination of information for restoration to the original state (referred to as “pseudonymised information”).

Definition of sensitive personal data

Under the PIPA, “sensitive information” is defined as personal information concerning an individual’s ideology, faith, labor union.

membership, political views or membership in a political party, health or medical treatment information, sexual orientation, genetic  information, criminal records and biometric data for the purpose of uniquely identifying a natural person and race / ethnic information. Sensitive information can be processed if (a) such processing is required or permitted by a statute, or (b) the consent of the data subject is separately obtained.

Definition of unique identification personal data

Under the PIPA, “unique identification information” is defined to be Resident registration number (“RRN”), driver’s license number, passport number, and foreigner registration number. Other information, apart from RRNs, can be processed if (a) such processing is required or permitted by statute, or (b) the consent of the data subject is separately obtained. RRN can only be processed based on a legal basis, irrespective of whether consent to the processing is obtained from the data subject.

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