# Opinion of the Board 64(3) — GDPR — provision context

> Focused context for a single provision (64(3)), curated from overview.legal on 2026-08-22. Canonical: https://overview.legal/laws/gdpr/art-64#par-3
> Verify against the official text (EUR-Lex / wetten.overheid.nl) before relying on it.

Part of **Opinion of the Board** (GDPR, full article: https://overview.legal/laws/gdpr/art-64).

## Provision text

### 64(3)

In the cases referred to in paragraphs 1 and 2, the Board shall issue an opinion on the matter submitted to it provided that it has not already issued an opinion on the same matter. That opinion shall be adopted within eight weeks by simple majority of the members of the Board. That period may be extended by a further six weeks, taking into account the complexity of the subject matter. Regarding the draft decision referred to in paragraph 1 circulated to the members of the Board in accordance with paragraph 5, a member which has not objected within a reasonable period indicated by the Chair, shall be deemed to be in agreement with the draft decision.


## Cited by (exact-provision citations)

- **Opinion 20/2026 on the draft decision of the Dutch Supervisory Authority regarding the Controller Binding Corporate Rules of the Fluor Group** (guidance) — https://overview.legal/posts/125671
- **Opinion 21/2026 on the draft decision of the Irish Supervisory Authority regarding the Controller Binding Corporate Rules of the Flutter Group** (guidance) — https://overview.legal/posts/125670
- **Opinion 19/2026 on the draft decision of the Dutch Supervisory Authority regarding the Processor Binding Corporate Rules of the Rubrik Group** (guidance) — https://overview.legal/posts/125672
- **Opinion 18/2026 on the draft decision of the Dutch Supervisory Authority regarding the Controller Binding Corporate Rules of the Rubrik Group** (guidance) — https://overview.legal/posts/125673
- **Opinion 13/2026 on the draft decision of the Office of the Data Protection Ombudsman (FI SA) regarding the approval of the requirement for accreditation of a certification body pursuant to Article 43(3) GDPR** (guidance) — https://overview.legal/posts/125674
- **Opinion 16/2026 on the draft decision of the Dutch Supervisory Authority regarding the Controller Binding Corporate Rules of the Infor Group** (guidance) — https://overview.legal/posts/125675
- **Opinion 17/2026 on the draft decision of the Dutch Supervisory Authority regarding the Processor Binding Corporate Rules of the Infor Group** (guidance) — https://overview.legal/posts/125676
- **Opinion 12/2026 on the draft decision of the Spanish Supervisory Authority regarding the Controller Binding Corporate Rules of the Santander Group** (guidance) — https://overview.legal/posts/125679
- **Opinion 9/2026 on the draft decision of the Dutch Supervisory Authority regarding the Controller Binding Corporate Rules of the Jacobs Douwe Egberts Group** (guidance) — https://overview.legal/posts/125677
- **Opinion 10/2026 on the draft decision of the Dutch Supervisory Authority regarding the Controller Binding Corporate Rules of the SLB Group** (guidance) — https://overview.legal/posts/125678
- **Opinion 11/2026 on the draft decision of the Belgian Supervisory Authority regarding the Controller Binding Corporate Rules of the Kuwait Petroleum Group** (guidance) — https://overview.legal/posts/125680
- **Onderwerp:** (guidance) — https://overview.legal/posts/50456

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Generated by overview.legal · https://overview.legal/laws/gdpr/art-64#par-3 · 2026-08-22
