AssirecreGroup is presently assessing the potential appointment of a Data Protection Officer (DPO) in accordance with Article 37, paragraph 7 of EU Regulation 2016/679. This assessment is contingent upon further clarification expected from the Italian Data Protection Authority concerning the definition of ‘processing on a large scale’ (Article 37, point 1, paragraph c of the GDPR), which will determine the necessity of such an appointment.

Should such an appointment occur, the Data Controller will duly inform the Italian Data Protection Authority of the appointed Data Protection Officer’s name.

For additional information regarding the DPO appointment and/or data subjects’ rights, please reach out to the AssirecreGroup Privacy Office at the following email address: