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Companies have worked hard over the past few years to design and implement GDPR compliance programs in time for the May 25, 2018 deadline. Internally, they may have generated hundreds or thousands of pages of project plans, policies, processes and reports – including Article 30 records of processing, Article 35 DPIAs, and much more.

But, how do they plan to demonstrate to their internal stakeholders and clients, partners, and other external stakeholders that they have well-designed and implemented programs and that their processes and products are GDPR-compliant? It simply won't be feasible to share the volumes of reports with the various stakeholder groups.

 

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