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141 lines
6.1 KiB
Markdown
141 lines
6.1 KiB
Markdown
# GDPR Compliance Audit Checklist
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## Organization Information
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| Field | Value |
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|-------|-------|
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| Organization Name | |
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| Role | Controller / Processor / Joint Controller |
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| DPO Name and Contact | |
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| Lead Supervisory Authority | |
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| Assessment Date | |
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| Assessor | |
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---
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## Article 5: Data Processing Principles
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- [ ] Lawfulness: All processing has documented lawful basis (Art. 6)
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- [ ] Fairness: Processing is fair and does not cause unjustified adverse effects
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- [ ] Transparency: Privacy notices provided at point of collection (Art. 13/14)
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- [ ] Purpose Limitation: Data collected for specified, explicit, and legitimate purposes
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- [ ] Data Minimization: Only data necessary for the purpose is collected
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- [ ] Accuracy: Processes exist to keep personal data accurate and up to date
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- [ ] Storage Limitation: Retention periods defined and enforced for all data categories
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- [ ] Integrity and Confidentiality: Technical and organizational security measures in place
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- [ ] Accountability: Ability to demonstrate compliance with all principles
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## Article 6: Lawful Basis
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- [ ] Lawful basis identified for each processing activity
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- [ ] Consent is freely given, specific, informed, and unambiguous where used
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- [ ] Consent withdrawal mechanism available and easy to use
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- [ ] Legitimate interest assessments documented where Art. 6(1)(f) relied upon
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- [ ] Legal bases recorded in ROPA
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## Articles 13-14: Transparency
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- [ ] Privacy notice provided at time of data collection (Art. 13)
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- [ ] Privacy notice provided when data obtained indirectly (Art. 14)
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- [ ] Notices include: controller identity, purposes, lawful basis, recipients, retention, rights, DPO contact
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- [ ] Notices are concise, transparent, intelligible, and in plain language
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- [ ] Notices available in appropriate languages
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## Articles 15-22: Data Subject Rights
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- [ ] Process for receiving and handling DSRs documented
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- [ ] Identity verification procedure before fulfilling requests
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- [ ] Response within one month (extendable by two months for complex requests)
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- [ ] Right of access (Art. 15): can provide copy of personal data
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- [ ] Right to rectification (Art. 16): can correct inaccurate data
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- [ ] Right to erasure (Art. 17): can delete data across all systems including backups
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- [ ] Right to restriction (Art. 18): can restrict processing when contested
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- [ ] Right to portability (Art. 20): can export data in machine-readable format
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- [ ] Right to object (Art. 21): can cease processing when objected to
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- [ ] Automated decision-making (Art. 22): safeguards for solely automated decisions
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## Article 25: Data Protection by Design and Default
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- [ ] Privacy considerations integrated into system design processes
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- [ ] Default settings are most privacy-protective
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- [ ] Only personal data necessary for each purpose is processed by default
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- [ ] Data protection integrated into development lifecycle
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## Article 28: Processors
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- [ ] All processors identified and documented
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- [ ] Data Processing Agreements (DPAs) in place with all processors
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- [ ] DPAs include required Art. 28 provisions
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- [ ] Processor security measures verified
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- [ ] Sub-processor notification process in place
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## Article 30: Records of Processing Activities (ROPA)
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- [ ] ROPA maintained and up to date
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- [ ] All processing activities documented
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- [ ] Controller details, purposes, data categories, recipients, transfers, retention, security measures recorded
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- [ ] Available for supervisory authority on request
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## Article 32: Security of Processing
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- [ ] Risk-appropriate technical measures:
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- [ ] Encryption of personal data (at rest and in transit)
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- [ ] Pseudonymization implemented where appropriate
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- [ ] Access controls and authentication
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- [ ] Logging and monitoring of access to personal data
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- [ ] Data loss prevention controls
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- [ ] Risk-appropriate organizational measures:
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- [ ] Information security policies
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- [ ] Staff training on data protection
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- [ ] Confidentiality agreements
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- [ ] Access review processes
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- [ ] Ability to restore availability and access after incident
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- [ ] Regular testing and evaluation of security measures
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## Articles 33-34: Breach Notification
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- [ ] Breach detection and assessment procedures documented
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- [ ] 72-hour notification to supervisory authority process in place
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- [ ] Data subject notification process for high-risk breaches
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- [ ] Breach register maintained
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- [ ] Breach response plan tested within last 12 months
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## Article 35: Data Protection Impact Assessment
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- [ ] DPIA criteria documented (when DPIA is required)
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- [ ] DPIA process documented
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- [ ] DPIAs conducted for all high-risk processing
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- [ ] DPO consulted on DPIAs
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- [ ] DPIAs reviewed when processing changes
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## Articles 44-49: International Transfers
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- [ ] All international transfers identified and documented
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- [ ] Transfer mechanisms in place (adequacy, SCCs, BCRs)
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- [ ] Transfer Impact Assessments conducted for non-adequate countries
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- [ ] Supplementary measures implemented where required
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- [ ] Standard Contractual Clauses (new 2021 modular version) executed
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## Articles 37-39: Data Protection Officer
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- [ ] DPO appointed (if required: public authority, core activity large-scale monitoring, core activity special categories)
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- [ ] DPO has expert knowledge of data protection law
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- [ ] DPO involved in all data protection matters
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- [ ] DPO reports to highest management level
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- [ ] DPO contact details published and communicated to supervisory authority
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---
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## Summary
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| GDPR Area | Items | Compliant | Non-Compliant | N/A |
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|-----------|-------|-----------|---------------|-----|
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| Principles (Art. 5) | | | | |
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| Lawful Basis (Art. 6) | | | | |
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| Transparency (Art. 13-14) | | | | |
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| Data Subject Rights (Art. 15-22) | | | | |
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| Privacy by Design (Art. 25) | | | | |
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| Processors (Art. 28) | | | | |
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| ROPA (Art. 30) | | | | |
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| Security (Art. 32) | | | | |
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| Breach Notification (Art. 33-34) | | | | |
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| DPIA (Art. 35) | | | | |
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| International Transfers (Art. 44-49) | | | | |
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| DPO (Art. 37-39) | | | | |
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| **Total** | | | | |
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## Sign-off
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| Role | Name | Signature | Date |
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|------|------|-----------|------|
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| DPO | | | |
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| CISO | | | |
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| Legal Counsel | | | |
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| Senior Management | | | |
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