Depending on how the institutions have handled their documentation and verification obligations, the question now arises as to how to handle any data collected in this context. Article 17 (1) (a) GDPR requires deletion if the data is no longer necessary for the purposes for which it was collected or processed. So, quite simply: Section 20a of the German Infection Protection Act (IfSG) has been repealed, vaccination status data must be deleted? Unfortunately, not always delete or keep!
Corona regulations delete or keep
According to Section 28b Paragraph 1 No. 3 of the German Protection against Infection Act (IfSG), employees, particularly those in hospitals, switzerland business fax list rehabilitation facilities providing medical care comparable to that provided by hospitals, and inpatient or outpatient facilities, must submit a COVID-19 test at least three times per calendar week. According to various state COVID-19 regulations (e.g., Section 4 Paragraph 1 Sentence 1 of the Lower Saxony COVID-19 Regulation ), the testing requirement is reduced to two tests per week if proof of vaccination is presented.
Infection Protection Act (IfSG)
For this transmission to take place, the role of states in the facility management . Must know which individuals are considered vaccinated. At least until April 2023, because according to Section 35 Paragraph 6 Sentence 10 of the. German Infection Protection Act (IfSG), the information to be transmitted will be collected by the Robert Koch. Institute (RKI) for the last time in April 2023.
Better to keep it. Who knows what might happen next.
Now, one could argue that storing data indefinitely and unfiltered makes perfect sense. After all, the coronavirus situation could worsen again. Not least in light of the current situation in China. Once the data is lost, botswana business directory it would have to be collect again. This would create a seemingly avoidable workload and potentially. Lead to a lack of understanding on the part of employees. However, it must be counte that further developments in. The coronavirus situation are currently unpredictable. It is up to the legislature, within the framework of its prerogative of assessment. Tecide what measures should be taken. Continued storage of data by the responsible bodies would be consider. Inadmissible data retention, which could bring the supervisory authorities into action.