Download Real PECB GDPR Practice Test Questions And Start Preparation
Download Real PECB GDPR Practice Test Questions And Start Preparation
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Tags: Latest GDPR Study Notes, Exam GDPR Papers, GDPR Latest Exam Vce, Latest Braindumps GDPR Ebook, Valid GDPR Learning Materials
Before you decide to get the GDPR exam certification, you may be attracted by the benefits of GDPR credentials. Get certified by GDPR certification means you have strong professional ability to deal with troubleshooting in the application. Besides, you will get promotion in your job career and obtain a higher salary. If you want to pass your PECB GDPR Actual Test at first attempt, GDPR pdf torrent is your best choice. The high pass rate of GDPR vce dumps can give you surprise.
PECB GDPR Exam Syllabus Topics:
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Exam GDPR Papers, GDPR Latest Exam Vce
With our PECB Certified Data Protection Officer (GDPR) study material, you'll be able to make the most of your time to ace the test. Despite what other courses might tell you, let us prove that studying with us is the best choice for passing your PECB Certified Data Protection Officer (GDPR) certification exam! If you want to increase your chances of success and pass your GDPR exam, start learning with us right away!
PECB Certified Data Protection Officer Sample Questions (Q74-Q79):
NEW QUESTION # 74
Scenario4:
Berc is a pharmaceutical company headquartered in Paris, France, known for developing inexpensive improved healthcare products. They want to expand to developing life-saving treatments. Berc has been engaged in many medical researches and clinical trials over the years. These projects required the processing of large amounts of data, including personal information. Since 2019, Berc has pursued GDPR compliance to regulate data processing activities and ensure data protection. Berc aims to positively impact human health through the use of technology and the power of collaboration. They recently have created an innovative solution in participation with Unty, a pharmaceutical company located in Switzerland. They want to enable patients to identify signs of strokes or other health-related issues themselves. They wanted to create a medical wrist device that continuously monitors patients' heart rate and notifies them about irregular heartbeats. The first step of the project was to collect information from individuals aged between 50 and 65. The purpose and means of processing were determined by both companies. The information collected included age, sex, ethnicity, medical history, and current medical status. Other information included names, dates of birth, and contact details. However, the individuals, who were mostly Berc's and Unty's customers, were not aware that there was an arrangement between Berc and Unty and that both companies have access to their personal data and share it between them. Berc outsourced the marketing of their new product to an international marketing company located in a country that had not adopted the adequacy decision from the EU commission. However, since they offered a good marketing campaign, following the DPO's advice, Berc contracted it. The marketing campaign included advertisement through telephone, emails, and social media. Berc requested that Berc's and Unty's clients be first informed about the product. They shared the contact details of clients with the marketing company.Based on this scenario, answer the following question:
Question:
Based on scenario 4, Bercshared personal information of its clients with an international marketing companyeven thoughan adequacy decision was absent. Which of the following is avalid reasonto do so?
- A. The transfer of data does not depend on the adoption of an adequacy decision by the country where the company is located.
- B. The marketing company's reputation ensures compliance with data protection standards.
- C. Authorization for data transfer from Berc'sChief Information Security Officer (CISO)is obtained.
- D. Thecontroller or processor provides appropriate safeguardsfor data protection.
Answer: D
Explanation:
UnderArticle 46 of GDPR, in theabsence of an adequacy decision, controllers can transfer dataonly if appropriate safeguards(e.g., Standard Contractual Clauses, Binding Corporate Rules) are in place.
* Option C is correctbecausesafeguards such as SCCsallow data transfers when no adequacy decision exists.
* Option A is incorrectbecauseadequacy decisions are a legal requirement, not optional.
* Option B is incorrectbecausea CISO cannot authorize GDPR data transfers.
* Option D is incorrectbecausereputation does not ensure GDPR compliance.
References:
* GDPR Article 46(1)(Appropriate safeguards for data transfers)
* Recital 108(Legally binding commitments for data protection)
NEW QUESTION # 75
Bus Spot is one of the largest bus operators in Spain. The company operates in local transport and bus rental since 2009. The success of Bus Spot can be attributed to the digitization of the bus ticketing system, through which clients can easily book tickets and stay up to date on any changes to their arrival or departure time. In recent years, due to the large number of passengers transported daily. Bus Spot has dealt with different incidents including vandalism, assaults on staff, and fraudulent injury claims. Considering the severity of these incidents, the need for having strong security measures had become crucial. Last month, the company decided to install a CCTV system across its network of buses. This security measure was taken to monitor the behavior of the company's employees and passengers, enabling crime prevention and ensuring safety and security. Following this decision, Bus Spot initiated a data protection impact assessment (DPIA). The outcome of each step of the DPIA was documented as follows: Step 1: In all 150 buses, two CCTV cameras will be installed. Only individuals authorized by Bus Spot will have access to the information generated by the CCTV system. CCTV cameras capture images only when the Bus Spot's buses are being used. The CCTV cameras will record images and sound. The information is transmitted to a video recorder and stored for 20 days. In case of incidents, CCTV recordings may be stored for more than 40 days and disclosed to a law enforcement body. Data collected through the CCTV system will be processed bv another organization. The purpose of processing this tvoe of information is to increase the security and safety of individuals and prevent criminal activity. Step 2: All employees of Bus Spot were informed for the installation of a CCTV system. As the data controller, Bus Spot will have the ultimate responsibility to conduct the DPIA. Appointing a DPO at that point was deemed unnecessary. However, the data processor's suggestions regarding the CCTV installation were taken into account. Step 3: Risk Likelihood (Unlikely, Possible, Likely) Severity (Moderate, Severe, Critical) Overall risk (Low, Medium, High) There is a risk that the principle of lawfulness, fairness, and transparency will be compromised since individuals might not be aware of the CCTV location and its field of view. Likely Moderate Low There is a risk that the principle of integrity and confidentiality may be compromised in case the CCTV system is not monitored and controlled with adequate security measures.
Possible Severe Medium There is a risk related to the right of individuals to be informed regarding the installation of CCTV cameras. Possible Moderate Low Step 4: Bus Spot will provide appropriate training to individuals that have access to the information generated by the CCTV system. In addition, it will ensure that the employees of the data processor are trained as well. In each entrance of the bus, a sign for the use of CCTV will be displayed. The sign will be visible and readable by all passengers. It will show other details such as the purpose of its use, the identity of Bus Spot, and its contact number in case there are any queries.
Only two employees of Bus Spot will be authorized to access the CCTV system. They will continuously monitor it and report any unusual behavior of bus drivers or passengers to Bus Spot. The requests of individuals that are subject to a criminal activity for accessing the CCTV images will be evaluated only for a limited period of time. If the access is allowed, the CCTV images will be exported by the CCTV system to an appropriate file format. Bus Spot will use a file encryption software to encrypt data before transferring onto another file format. Step 5: Bus Spot's topmanagement has evaluated the DPIA results for the processing of data through CCTV system. The actions suggested to address the identified risks have been approved and will be implemented based on best practices. This DPIA involves the analysis of the risks and impacts in only a group of buses located in the capital of Spain. Therefore, the DPIA will be reconducted for each of Bus Spot's buses in Spain before installing the CCTV system. Based on this scenario, answer the following question:
Question:
Based on scenario 6, Bus Spot decidednot to appoint a DPOwhen conducting the DPIA.
Which option iscorrectregarding this situation?
- A. Bus Spot can conduct a DPIA without designating a DPO, since the role of the DPO is only to give advice to the controller or processor.
- B. A DPO is mandatoryfor Bus Spot because CCTV surveillance involves high-risk processing.
- C. The DPIA conducted by Bus Spotis not validbecause they have not appointed a DPO.
- D. Bus Spot can conduct a DPIA only after appointing a DPO, since the DPO needs to control the DPIA process and observe how well risks are addressed.
Answer: B
Explanation:
UnderArticle 37(1)(b) of GDPR, a DPOmust be appointedwhen thecore activitiesinvolvesystematic monitoring of individuals on a large scale, which applies toBus Spot's CCTV system.
* Option D is correctbecauselarge-scale monitoring (CCTV) requires a DPOunder GDPR.
* Option A is incorrectbecausenot appointing a DPO for systematic monitoring violates Article 37.
* Option B is incorrectbecause a DPIAcan still be valid, but aDPO is required for compliance.
* Option C is incorrectbecauseDPOs do not control DPIAs; they provide guidance.
References:
* GDPR Article 37(1)(b)(Mandatory DPO for large-scale monitoring)
* Recital 97(DPO role in high-risk data processing)
NEW QUESTION # 76
Scenario6:
Bus Spot is one of the largest bus operators in Spain. The company operates in local transport and bus rental since 2009. The success of Bus Spot can be attributed to the digitization of the bus ticketing system, through which clients can easily book tickets and stay up to date on any changes to their arrival or departure time. In recent years, due to the large number of passengers transporteddaily. Bus Spot has dealt with different incidents including vandalism, assaults on staff, and fraudulent injury claims. Considering the severity of these incidents, the need for having strong security measures had become crucial. Last month, the company decided to install a CCTV system across its network of buses. This security measure was taken to monitor the behavior of the company's employees and passengers, enabling crime prevention and ensuring safety and security. Following this decision, Bus Spot initiated a data protection impact assessment (DPIA). The outcome of each step of the DPIA was documented as follows: Step 1: In all 150 buses, two CCTV cameras will be installed. Only individuals authorized by Bus Spot will have access to the information generated by the CCTV system. CCTV cameras capture images only when the Bus Spot's buses are being used. The CCTV cameras will record images and sound. The information is transmitted to a video recorder and stored for 20 days. In case of incidents, CCTV recordings may be stored for more than 40 days and disclosed to a law enforcement body. Data collected through the CCTV system will be processed bv another organization. The purpose of processing this tvoe of information is to increase the security and safety of individuals and prevent criminal activity. Step 2: All employees of Bus Spot were informed for the installation of a CCTV system. As the data controller, Bus Spot will have the ultimate responsibility to conduct the DPIA. Appointing a DPO at that point was deemed unnecessary. However, the data processor's suggestions regarding the CCTV installation were taken into account. Step 3: Risk Likelihood (Unlikely, Possible, Likely) Severity (Moderate, Severe, Critical) Overall risk (Low, Medium, High) There is a risk that the principle of lawfulness, fairness, and transparency will be compromised since individuals might not be aware of the CCTV location and its field of view. Likely Moderate Low There is a risk that the principle of integrity and confidentiality may be compromised in case the CCTV system is not monitored and controlled with adequate security measures.
Possible Severe Medium There is a risk related to the right of individuals to be informed regarding the installation of CCTV cameras. Possible Moderate Low Step 4: Bus Spot will provide appropriate training to individuals that have access to the information generated by the CCTV system. In addition, it will ensure that the employees of the data processor are trained as well. In each entrance of the bus, a sign for the use of CCTV will be displayed. The sign will be visible and readable by all passengers. It will show other details such as the purpose of its use, the identity of Bus Spot, and its contact number in case there are any queries.
Only two employees of Bus Spot will be authorized to access the CCTV system. They will continuously monitor it and report any unusual behavior of bus drivers or passengers to Bus Spot. The requests of individuals that are subject to a criminal activity for accessing the CCTV images will be evaluated only for a limited period of time. If the access is allowed, the CCTV images will be exported by the CCTV system to an appropriate file format. Bus Spot will use a file encryption software to encrypt data before transferring onto another file format. Step 5: Bus Spot's top management has evaluated the DPIA results for the processing of data through CCTV system. The actions suggested to address the identified risks have been approved and will be implemented based on best practices. This DPIA involves the analysis of the risks and impacts in only a group of buses located in the capital of Spain. Therefore, the DPIA will be reconducted for each of Bus Spot's buses in Spain before installing the CCTV system. Based on this scenario, answer the following question:
Question:
Which step of theDPIA methodologydid Bus Spotmisswhen conducting the DPIA?
- A. Thealignment with GDPR-defined DPIA guidelines, where it should have adhered to the regulatory framework and methodology outlined by the GDPR.
- B. Thenecessity and proportionality evaluationstep, where it should have determined thelawful basis for data processing.
- C. Thesupervisory authority approvalstep, where it should have obtained prior authorization before implementing the CCTV system.
- D. The stepdescribing the data processing activities, where it should have detailed thescope, nature, context, and purposes of the processing.
Answer: B
Explanation:
UnderArticle 35(7)(b) of GDPR, a DPIA must include an assessment of thenecessity and proportionality of processing. This ensures that data processingis lawful, limited, and justified. Bus Spotmissed this step, which is essential for verifyingthe lawful basis for processing CCTV data.
* Option A is correctbecause thenecessity and proportionality assessment was required but not completed.
* Option B is incorrectbecause Bus Spotdocumented data processing activities in the DPIA.
* Option C is incorrectbecausenot aligning with GDPR guidelines does not automatically invalidate a DPIA.
* Option D is incorrectbecauseprior approval from a supervisory authority is only required if high- risk processing is detected without sufficient mitigation measures(Article 36).
References:
* GDPR Article 35(7)(b)(Necessity and proportionality in DPIAs)
* Recital 90(Assessing necessity in a DPIA)
NEW QUESTION # 77
Scenario:
Socianis a softwareused to collect medical records of patients, includingname, date of birth, social security number, and other personal data. The system stores data on asecure server with multi-layered security.
An organization usingSocianfor six months wants to ensure that itsprocessing activities comply with GDPR
. TheDPO advised creating a list of processing activitiesrelated toSocian.
Question:
What should beincludedin theprocessing activities registers?
- A. Adetailed list of every individual who accessed the data.
- B. Thepersonal data protection techniquesused.
- C. Theseverity of the risksto therights and freedomsof data subjects.
- D. How thesupervisory authorityis notified in case of apersonal data breach.
Answer: B
Explanation:
UnderArticle 30 of GDPR, organizations must documentsecurity measuresused to protect personal data, includingpseudonymization, encryption, and access controls.
* Option C is correctbecausedocumenting protection techniques is required in the processing activity register.
* Option A is incorrectbecauserisk severity assessments are part of DPIAs, not processing registers.
* Option B is incorrectbecausebreach notification procedures are handled separately under Article
33.
* Option D is incorrectbecausewhile access logs are important, they are not required in the processing activity register.
References:
* GDPR Article 30(1)(g)(Security measures must be documented)
* Recital 82(Accountability requires detailed processing records)
NEW QUESTION # 78
Question:
To evaluate theeffectiveness of communication, theDPO of Company ABCreviewed theaccuracy and relevanceof the information provided to customers regarding personal data processing.
Is this agood practiceunder GDPR?
- A. No, the effectiveness of communicationcannot be evaluatedthrough the evaluation of theaccuracy and relevanceof information provided to customers.
- B. Yes, but only if the company'ssupervisory authority requests it.
- C. No, the DPO isnot responsiblefor evaluating the effectiveness of communication with customers.
- D. Yes, when evaluating the effectiveness of communication, theDPO should consider the accuracy and relevanceof the information provided to concerned parties.
Answer: D
Explanation:
UnderArticle 39(1)(a) of GDPR, theDPO is responsible for monitoring GDPR compliance, including ensuring transparency in communication with data subjects. This includes verifying thatinformation about data processing is accurate and relevant.
* Option A is correctbecause GDPR mandates thatdata subjects receive clear and accurate informationabout their personal data processing.
* Option B is incorrectbecauseaccuracy and relevance are key indicatorsof effective communication under GDPR.
* Option C is incorrectbecauseevaluating data protection communicationis part of the DPO's compliance role.
* Option D is incorrectbecausesupervisory authority approval is not requiredfor the DPO to conduct such evaluations.
References:
* GDPR Article 39(1)(a)(DPO's role in monitoring compliance)
* GDPR Article 12(1)(Obligation for transparent and clear communication)
NEW QUESTION # 79
......
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