Author Archives: Sergio Fumagalli

About Sergio Fumagalli

Vice President Zeropiu Spa, system integrator specialized in digital identity and data security with operations in Italy and in the Nordics. After serving as MP in the Italian Parliament, I started a professional collaboration with the Data Protection Italian Authority and a professional activity on these topics. Co-author of “Privacy guida agli adempimenti”, IPSOA, 2004, 2005 a book on compliance to the Italian Law. Since 2008 member of the Oracle Community for Security - http://c4s.clusit.it/views/Homepage.html - and since 2014 member of the board of Clusit a leader association on IT Security in Italy Between 2004 and 2012 member of the board of Webank Spa, the online banc of the Banca Popolare di Milano group.

Costs and security

The GDPR allows the controller to take into account also the cost of the security measures required to comply: article 32 says “Taking into account the state of the art, the costs of implementation…”. Compared to the current legislation this fact is strongly innovative, at least in Italy. “Taking into account the costs” is a… Read More »

Will SME comply to GDPR?

Comments seem to appreciate the GDPR: consulting companies think of the huge amount of services that top enterprises will require; tech vendors follow. Here is the point: large banks, top insurances, international B2C operators, Telcos, large internet players, these are the ones that are expected to comply. Or to have to comply. But this is… Read More »

GRDP and Brexit

When the Brexit referendum will be put in concrete actions, Great Britain will be subjected to the Chapter V of the Regulation, which defines the rules for data transfer outside UE. According to point 1 of Article 45 “A transfer of personal data to a third country or an international organisation may take place where… Read More »

DPO: better a service or an employee?

The Regulation 2016/679 (GDPR) introduces a new role: the Data Protection Officer (DPO). Mandatory for some categories of Controllers and Processors and optional for the remaining ones (see article 37), the DPO plays a peculiar role within the controller’s organization. The GDPR defines the main DPO tasks (article 39 for details): inform and advice …, monitor… Read More »