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 GDPR Dumps with Practice Exam Questions Answers

Questions: 80 Questions and Answers With Step-by-Step Explanation

Last Update: Mar 10, 2025

GDPR Question Includes: Single Choice Questions: 80,

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GDPR Questions and Answers

Question # 1

Scenario4:

Berc is a pharmaceutical company headquartered in Paris, France, known for developing inexpensive improved healthcare products. They want to expand to developing life-saving treatments. Berc has been engaged in many medical researches and clinical trials over the years. These projects required the processing of large amounts of data, including personal information. Since 2019, Berc has pursued GDPR compliance to regulate data processing activities and ensure data protection. Berc aims to positively impact human health through the use of technology and the power of collaboration. They recently have created an innovative solution in participation with Unty, a pharmaceutical company located in Switzerland. They want to enable patients to identify signs of strokes or other health-related issues themselves. They wanted to create a medical wrist device that continuously monitors patients' heart rate and notifies them about irregular heartbeats. The first step of the project was to collect information from individuals aged between 50 and 65. The purpose and means of processing were determined by both companies. The information collected included age, sex, ethnicity, medical history, and current medical status. Other information included names, dates of birth, and contact details. However, the individuals, who were mostly Berc's and Unty's customers, were not aware that there was an arrangement between Berc and Unty and that both companies have access to their personal data and share it between them. Berc outsourced the marketing of their new product to an international marketing company located in a country that had not adopted the adequacy decision from the EU commission. However, since they offered a good marketing campaign, following the DPO's advice, Berc contracted it. The marketing campaign included advertisement through telephone, emails, and social media. Berc requested that Berc’s and Unty's clients be first informed about the product. They shared the contact details of clients with the marketing company.Based on this scenario, answer the following question:

Question:

Based on scenario 4, Bercshared personal information of its clients with an international marketing companyeven thoughan adequacy decision was absent. Which of the following is avalid reasonto do so?

A.

The transfer of data does not depend on the adoption of an adequacy decision by the country where the company is located.

B.

Authorization for data transfer from Berc'sChief Information Security Officer (CISO)is obtained.

C.

Thecontroller or processor provides appropriate safeguardsfor data protection.

D.

The marketing company’s reputation ensures compliance with data protection standards.

Question # 2

Question:

All the statements below regarding thelawfulness of processingare correct,except:

A.

Processing is necessary for theperformance of a contractto which the data subject is a party.

B.

Processing is necessary toobtain consentfrom the data subject.

C.

Processing is necessary toprotect the vital interestsof the data subject or another natural person.

D.

Processing is necessary for thelegitimate interestspursued by the controller, except where overridden by the interests or fundamental rights of the data subject.

Question # 3

Question:

What is therole of the European Data Protection Board (EDPB)?

A.

Tosupervise and monitorthe application of GDPR within the EU.

B.

Toadvise the European Commissionregarding data protection issues in the EU.

C.

Tonegotiate and adopt EU lawsas per the proposals from the European Commission.

D.

Toconduct audits on organizationssuspected of GDPR violations.

Question # 4

Scenario3:

COR Bank is an international banking group that operates in 31 countries. It was formed as the merger of two well-known investment banks in Germany. Their two main fields of business are retail and investment banking. COR Bank provides innovative solutions for services such as payments, cash management, savings, protection insurance, and real-estate services. COR Bank has a large number of clients and transactions. Therefore, they process large information, including clients' personal data. Some of the data from the application processes of COR Bank, including archived data, is operated by Tibko, an IT services company located in Canada. To ensure compliance with the GDPR, COR Bank and Tibko have reached a data processing agreement Based on the agreement, the purpose and conditions of data processing are determined by COR Bank. However, Tibko is allowed to make technical decisions for storing the data based on its own expertise. COR Bank aims to remain a trustworthy bank and a long-term partner for its clients. Therefore, they devote special attention to legal compliance. They started the implementation process of a GDPR compliance program in 2018. The first step was to analyze the existing resources and procedures. Lisa was appointed as the data protection officer (DPO). Being the information security manager of COR Bank for many years, Lisa had knowledge of the organization's core activities. She was previously involved in most of the processes related to information systems management and data protection. Lisa played a key role in achieving compliance to the GDPR by advising the company regarding data protection obligations and creating a data protection strategy. After obtaining evidence of the existing data protection policy, Lisa proposed to adapt the policy to specific requirements of GDPR. Then, Lisa implemented the updates of the policy within COR Bank. To ensure consistency between processes of different departments within the organization, Lisa has constantly communicated with all heads of GDPR. Then, Lisa implemented the updates of the policy within COR Bank. To ensure consistency between processes of different departments within the organization, Lisa has constantly communicated with all heads of departments. As the DPO, she had access to several departments,including HR and Accounting Department. This assured the organization that there was a continuous cooperation between them. The activities of some departments within COR Bank are closely related to data protection. Therefore, considering their expertise, Lisa was advised from the top management to take orders from the heads of those departments when taking decisions related to their field. Based on this scenario, answer the following question:

Question:

According to scenario 3,Lisa was appointed as the Data Protection Officer (DPO)of COR Bank. Is this action in compliance with GDPR?

A.

Yes, the DPO may be a staff member of the controller or processor or fulfill the tasks based on a service contract.

B.

Yes, the DPO must be a staff member of the controller or processor in all cases when processing includes special categories of data.

C.

No, an external DPO must be contracted when personal data is collected or processed by an organization that is not established in the European Union.

D.

No, Lisa cannot be appointed as a DPO because she was already an information security officer.

Question # 5

Question:

According to theprinciple of data minimization, data must be:

A.

In a formwhich permits the identification of data subjectsfor no longer than is necessary.

B.

Acquired only forspecified, explicit, and legitimate purposes.

C.

Adequate, relevant, and limitedto what is necessary in relation to the purposes of processing.

D.

Stored forno more than five yearsfrom the date of collection.