Laws · GDPR ·art-40-par-1 EN LLM context A cited markdown file you can paste into your AI assistant (ChatGPT, Claude, a RAG or project knowledge base) to ground it in this document. Contains: this document’s text, its sections with their topics, and the full text of every law provision it applies. Everything links back to its source on overview.legal — legal information, not advice.
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The Member States, the supervisory authorities, the Board and the Commission shall encourage the drawing up of codes of conduct intended to contribute to the proper application of this Regulation, taking account of the specific features of the various processing sectors and the specific needs of micro, small and medium-sized enterprises.
How it connects
Cited by
- Guidelines 1/2019 on Codes of Conduct and Monitoring Bodies under Regulation 2016/679
- EDPB- EDPS Joint Opinion 01/2025 on the Proposal for a Regulation on simplification measures for SMEs and SMCs, in particular the record-keeping obligation under Art. 30(5) GDPR
- EDPB contribution to the EBA public consultation on draft regulatory technical standards on AML/CFT
- EDPB contribution to the EBA public consultation on draft regulatory technical standards on AML/CFT
- Opinion 12/2024 on the draft decision of the French Supervisory Authority regarding the “Code of Conduct for Service Providers in Clinical Research” submitted by EUCROF
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- Opinion 11/2023 on the draft decision of the competent supervisory authority of Sweden regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 03/2023 on the draft decision of the competent supervisory authority of Romania regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 1/2023 on the draft decision of the competent supervisory authority of Croatia regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to Article 41 GDPR
- Opinion 15/2022 on the draft decision of the competent supervisory authority of Luxembourg regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 14/2022 on the draft decision of the competent supervisory authority of Bulgaria regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 24/2021 on the draft decision of the competent supervisory authority of Slovakia regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 23/2021 on the draft decision of the competent supervisory authority of Czech Republic regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 17/2021 on the draft decision of the French Supervisory Authority regarding the European code of conduct submitted by the Cloud Infrastructure Service Providers (CISPE)
- Opinion 16/2021 on the draft decision of the Belgian Supervisory Authority regarding the “EU Data Protection Code of Conduct for Cloud Service Providers” submitted by Scope Europe
- Opinion 11/2021 on the draft decision of the competent supervisory authority of Norway regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 31/2020 on the draft decision of the competent supervisory authority of Poland regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 19/2020 on the draft decision of the competent supervisory authority of Denmark regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 18/2020 on the draft decision of the competent supervisory authority of the Netherlands regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 20/2020 on the draft decision of the competent supervisory authority of Greece regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 11/2020 on the draft decision of the competent supervisory authority of Ireland regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 12/2020 on the draft decision of the competent supervisory authority of Finland regarding the approval of the requirements for accreditation of a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 1/2020 on the Spanish data protection supervisory authority draft accreditation requirements for a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 2/2020 on the Belgium data protection supervisory authority draft accreditation requirements for a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 3/2020 on the France data protection supervisory authority draft accreditation requirements for a code of conduct monitoring body pursuant to article 41 GDPR
- Opinion 17/2019 on the UK data protection supervisory authority draft accreditation requirements for a code of conduct monitoring body pursuant to article 41 GDPR
- UF and AB v Land Hessen
- Safe Interenvios, SA v Liberbank, SA and Others