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Products and Services

DPO Service

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Appointing a Data Protection Officer (DPO) We offer certified DPOs to take care of all the required tasks outlined in Article 39 of the GDPR which include the following: Inform and advise your organisation and staff on the Regulation Guide you through the data protection impact assessment process Monitor compliance with the Regulation Act as the contact point for issues related to the Regulation for your clients and staff Act as the contact point for the competent Supervisory Authorities Companies required by law to appoint a DPO For some companies, it is mandatory to appoint a DPO.

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EU Representative Service

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What is an EU Representative and what do they do? Under Article 27 of the GDPR, some non-EU companies are required to appoint an EU Representative established in the EU. The function of the EU Representative include the following: To serve as the point of contact for enquiries from the Data Protection Authority and individuals in the EU about the company’s data processing activities Maintain records of the company’s data processing activities Do all non-EU companies require a EU representative?

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GDPR Services

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Steps to establish and maintain compliance When faced with the task of GDPR compliance, many companies feel they don’t know where to start. Even those who have started, often feel unsure of how to further progress. There are four cyclic steps to establish and maintain GDPR compliance, and Enobyte can help your company at any stage of the cycle. Step 1: Assessment Online Questionnaire and Gap Analysis Report The very first step towards compliance is to do a full review of your company against the requirements of GDPR.

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Online GDPR Assessment

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Online Questionnaire and Gap Analysis Report The very first step towards compliance is to do a full review of your company against the requirements of GDPR. With our Online Assessment questionnaire, you can access and begin working on this first step immediately, at your convenience. From the questionnaire, the type of data, scope, size, context and purposes of the company’s data processing activities will be examined, along with existing company measures in place for data protection.

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