Verbis Durations | Personal Data Protection Lawyer | Izmir Lawyer | Izmir Law Firm

Points to consider when registering with VERBİS Regulation on the Registry of Data Controllers This has been regulated within the scope of the regulation; and the criteria to be used in determining the time periods have been determined within the scope of Article 9 of the regulation.
Within the scope of the relevant article, data controllers are required to report to the Registry information regarding the maximum retention period for personal data as stipulated in the legislation or necessary for the purpose for which they are processed, by matching this information with data categories. The processing purposes of the data categories reported to the Registry by the data controller, and the maximum retention periods necessary for processing based on these purposes, may differ from the periods stipulated in the legislation. In this case, if a maximum retention period is stipulated in the legislation, that period should be used as the basis for reporting to the Registry for that data category; if not, the longest of these periods should be used. When determining the maximum retention period necessary for the purpose for which personal data are processed, the criteria listed below should be examined.
The following criteria should be considered when specifying the timeframes for preparing the Data Controllers Registry (VERBIS) and Personal Data Inventory.
a) The period generally accepted as a matter of practice in the sector in which the data controller operates, within the scope of the purpose of processing the relevant data category,
b) The period during which the processing of personal data in the relevant data category is necessary and during which the legal relationship established with the data subject will continue,
c) The period during which the legitimate interest that the data controller will obtain, depending on the purpose of processing the relevant data category, will be valid in accordance with the law and principles of good faith.,
c) The legally mandated period for which the risks, costs, and responsibilities arising from the storage of the relevant data category will continue, depending on the purpose of processing.,
d) Whether the maximum period to be determined is suitable for keeping the relevant data category accurate and up-to-date when necessary,
e) The period during which the data controller is legally obligated to retain personal data in the relevant data category,
f) The statute of limitations determined by the data controller for asserting a right related to personal data in the relevant data category shall be taken into account.
For our other articles we have prepared under the Personal Data Protection Law;
- What is KVKK?
- What is Personal Data?
- What are the basic concepts of the Personal Data Protection Law??
- What are the fundamental principles of the Personal Data Protection Law?
- What is a Privacy Notice? What should it include?
- What is a Personal Data Inventory?
- What are the differences between the Personal Data Inventory and the Data Controllers Registry?
- How is the annual number of employees calculated for KVKK (Personal Data Protection Law) registration purposes?
- How should the total financial balance be calculated in relation to the Personal Data Protection Law (KVKK) registration?
- What should a Personal Data Inventory include?
- What are the categories of personal data?
- What are the reasons for processing personal data listed in the Data Controllers Registry?
- What security measures are stipulated in the Data Controllers Registry?
- What should be considered when specifying deadlines in the Data Controllers Registry?
- Exemption from VERBİS Registration
- Legitimate Interest & Balance Test
- WhatsApp Update & Data Security
- Personal Data Protection Law Sanctions
- What is the Right to Be Forgotten?
- Personal Data Protection Law Administrative Fines 2023
- What is GDPR?
- What is DPO? Who are they?

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