Data Protection in Kosovo

Registration in Kosovo

Considering that the LPPD transposes the GDPR, same as the latter, it provides meticulous and protective measures to which the Controllers and the Processors must comply, and as such does not impose restrictive registration or notification requirements to be undertaken with the IPA. Accordingly, in general, LPPD does not contain mandatory provisions requiring registration of processing activities. 

However, certain notification requirements apply in cases where a data protection impact assessment suggests a high risk without adequate protection measures (Article 36.1). Further, controllers or processors must report their appointed data protection officer to the IPA, where such appointment is required by law (Article 37.7). In the private sector, controllers or processors using biometric data for their activities must inform the IPA beforehand. This includes providing a detailed description of safety measures for processing biometric data (Article 83).

Additionally, controller and processor, including entities which process personal data based on the LPPD, are required to obtain the certification to perform work related to personal data (Article 43(1)). In practice, the certification procedure is not applicable in Kosovo, and its implementation is subject to the adoption of a sub-legal act (Article 43 (2)).

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