GDPR Privacy Notice - Long or Short version
Hello, you've put up an application for with a short privacy notice adapted to the GDPR. However, your main body of advice regarding GDPR refers to your 29 page Privacy Notice. My questions are, how do we choose between one or the other? Should the short Privacy Notice refer readers to the full Notice; perhaps a link to the full Notice on our website? Are you sure the short Privacy Notice on the application form is enough? I'd be surprised if other members don't have similar doubts.
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