RGPD

I. Introduction

On June 20, 2018, France adopted Law No. 2018-493 on the protection of personal data, in order to implement the General Data Protection Regulation (GDPR). This law revises and consolidates the Data Protection Act of 1978.

The National Commission on Informatics and Liberty (CNIL), as the national supervisory authority, is responsible for overseeing, guiding, and enforcing the GDPR and its implementing texts in France. Thus, France has established a personal data protection system that complies with the requirements of the European Union.

II. Scope

The regulations for implementing the GDPR in France apply to:

any data controller or processor established on French territory;

any organization located outside of France offering goods or services to persons located in France, or monitoring their behavior on French territory.

Regardless of where the processing is carried out, as long as it concerns personal data of persons located in France, the law applies. It covers automated processing as well as non-automated processing that is part of a filing system. Activities of an exclusively personal or domestic nature do not fall within its scope.

III. Data processing principles

Lawfulness, fairness and transparency: all processing must be based on a clear legal basis and be conducted in a transparent manner.

Purpose limitation: data may only be used for specified and legitimate purposes.

Data minimization: only strictly necessary data must be collected.

Accuracy: data must be accurate and updated regularly.

Storage limitation: data must only be kept for the period strictly necessary, then deleted or anonymized.

Security and confidentiality: appropriate technical and organizational measures must be put in place to prevent any data breach, alteration, or loss.

IV. Rights of data subjects

In accordance with the GDPR and French law, individuals have the following rights:

Right to information and access;

Right to rectification;

Right to erasure ("right to be forgotten");

Right to restriction of processing;

Right to data portability;

Right to object.

For minors under 15 years old, the processing of their data requires the consent of a parent or legal guardian, and the information must be provided to them in clear and understandable language.

V. Obligations of the processor

Processors must:

follow the written instructions of the data controller strictly;

implement adequate security measures;

assist the data controller in fulfilling their obligations, particularly in responding to requests from data subjects;

notify the data controller without delay in the event of a data breach, which must then inform the CNIL within 72 hours.

Data controllers must maintain a record of processing activities and conduct a Data Protection Impact Assessment (DPIA) in the event of high risk. Certain organizations must also appoint a Data Protection Officer (DPO) and register with the CNIL.

VI. International data transfers

When a transfer to a country outside the EU is envisaged, the data controller must ensure an adequate level of protection. This can be done via:

an adequacy decision from the European Commission;

or the signing of Standard Contractual Clauses (SCCs).

Since the invalidation of the "Privacy Shield" on July 16, 2020, French entities must use the new Standard Contractual Clauses adopted on June 4, 2021, or any other legal mechanism.

VII. Control and enforcement

The CNIL has extensive powers, including:

issuing warnings or formal notices;

limiting or banning certain processing;

imposing fines of up to 20 million euros or 4% of global annual turnover, whichever is higher.

French law also allows individuals to set out directives regarding the use of their data after their death. In the absence of such instructions, the processing must comply with the regulations in force. The French framework for implementing the GDPR aims to guarantee individual rights, strengthen corporate compliance, and promote trust in the digital environment.

To learn more about how we collect and use your personal data, please consult our Privacy Policy. To learn more about our use of cookies, see our Cookie Policy.

VIII. Contact

Nom du magasin : L'Atelier De Famille

E-mail : info@latelierdefamille.com

Numéro du service client : +33 06 45 77 78 80

Adresse : 71 Rue Nationale, 49112 Pellouailles-les-Vignes, France

Horaires d'ouverture : Du lundi au samedi, de 9h00 à 18h00 (CET)