Consent should be given by a clear affirmative act establishing a freely given, specific, informed and unambiguous indication of the data subject's agreement to the processing of personal data relating to him or her, such as by a written statement, including by electronic means, or an oral statement. This could include ticking a box when visiting an internet website, choosing technical settings for information society services or another statement or conduct which clearly indicates in this context the data subject's acceptance of the proposed processing of his or her personal data. Silence, pre-ticked boxes or inactivity should not therefore constitute consent. Consent should cover all processing activities carried out for the same purpose or purposes. When the processing has multiple purposes, consent should be given for all of them. If the data subject's consent is to be given following a request by electronic means, the request must be clear, concise and not unnecessarily disruptive to the use of the service for which it is provided.
GDPR Recital EN
Recital 32
Related across sources
Guidance ARTICLE 29 DATA PROTECTION WORKING PARTY Guidance Guidelines 3/2018 on the territorial scope of the GDPR (Article 3) Guidance Guidelines 1/2019 on Codes of Conduct and Monitoring Bodies under Regulation 2016/679 Guidance Guidelines 05/2020 on consent under Regulation 2016/679 Guidance Guidelines 5/2019 on the criteria of the Right to be Forgotten in the search engines cases under the GDPR (part 1) Guidance Version history