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[ncc-services-wg] personal data in the NCC
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Larisa Yurkina
ula at ripn.net
Wed Oct 20 14:57:08 CEST 2010
Jim Reid wrote, 20.10.2010 16:01: > On 20 Oct 2010, at 12:55, Dmitry Burkov wrote: > >> I don't know - but as I remember one of the basic principle of this >> law regarding transborder personal data transfer- >> such data can be transfered only to countries which comply some >> requirements >> (as to have comparable laws and so on). > > That's right. The problems tend to be sending data from the EU because > its Data Protection framework is stronger than most other parts of the > world. It would be good to find out why it's hard to send Personal > Data to the EU and what needs to be done about that. > >> We simply should get legal answer before to discuss. > > Yes. None of us are lawyers. > Hi, I think it's a question of the RIPE NCC procedures rather than Data protection itself. It's not clear why Personal ID was requested. According to ripe-418 RIPE NCC Standard Terms and Conditions 4.1 The Contributor may be a natural person or a legal entity. The same goes to End User contracts. Natural person should provide Personal ID (copy of passport), legal entity should provide Registration certificate to prove legality. With respect, -- Larisa Yurkina RIPN tel: +7(495)737-0604 fax: +7(499)196-4984
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