Who is considered the data controller when storing pseudo-anonymized personal data in a blockchain? I.e. an immutable distributed data store. Related question: https://watercooler.community/question/storing-pseudo-anonymized-personal-data-on-a-blockchain Is it the application that collects the data and writes the transaction to the blockchain?
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In regards to GDPR and especially the right to be forgotten (right to erasure, Article 17), is it legal to store pseudo-anonymized (hashed or encrypted) personal data in an immutable data store such as a public blockchain? As data can never ...