Explore how GDPR applies to body temperature checks as a form of personal data, even without automated processing or documentation. Learn about data privacy rights and compliance.
Table of Contents
Question
An organization conducts body temperature checks as a part of COVID-19 monitoring. Body temperature is measured manually and is not followed by registration, documentation or other processing of an individual’s personal data.
Which of the following best explain why this practice would NOT be subject to the GDPR?
A. Body temperature is not considered personal data.
B. The practice does not involve completion by automated means.
C. Body temperature is considered pseudonymous data.
D. The practice is for the purpose of alleviating extreme risks to public health.
Answer
A. Body temperature is not considered personal data.
Explanation
Under the GDPR, personal data is any information relating to an identified or identifiable natural person. Body temperature, in this context, can be linked to an individual and used to identify them, especially when combined with other factors like time, location, or name. Therefore, it constitutes personal data and falls under the purview of the GDPR.
IAPP CIPP-E certification exam practice question and answer (Q&A) dump with detail explanation and reference available free, helpful to pass the IAPP CIPP-E exam and earn IAPP CIPP-E certification.