Secretariat of COMECE (Commission of the Episcopates of the European Union)

COMECE Secretariat · Organisations representing churches and religious communities · BE

Kategorija
Organisations representing churches and religious communities
Būstinė
Brussels BE
Registruota
2011-10-07
Deklaruotos metinės išlaidos
173 062 € (pačios deklaruota)
Svetainė
http://www.comece.eu
Skaidrumo registras
47350036909-69 ↗
Susitikimai su EK
Pateiktos pozicijos
Pozicijos dokumentai
0
Paminėjimai spaudoje
Sumą deklaruoja pati organizacija Skaidrumo registre; institucijos jos netikrina.

Susitikimai pagal metus

20152201812020720211020226202332025520261

Šaltinis: Europos Komisijos skelbiami susitikimai, sutapatinti pagal skaidrumo registro numerį. n = 35 susitikimų; x — metai pagal susitikimo datą, y — susitikimų skaičius.

Susitikimai su Europos Komisija

Skelbiami tik susitikimai su Komisijos nariais, jų kabinetais ir generaliniais direktoriais. Susitikimai žemesniu lygiu ir daugelis kontaktų Parlamente bei Taryboje į registrą nepatenka.
DataPriėmėTema
2026-06-16CompetitionReview of the General Block Exemption Regulation (GBER)
2025-07-03Cabinet of Commissioner Magnus BrunnerDiscussion on the Art 17 Dialogue Exchange of views on the EU migration and asylum policy
2025-06-05Inspire, Debate, Engage and Accelerate ActionParticipation in a debate on the just transition organised by the European Laudato Si Alliance at the occasion of the 10th anniversary of Pope Francis' encyclical
2025-06-05Inspire, Debate, Engage and Accelerate ActionParticipation in a debate on the just transition organised by the European Laudato Si Alliance at the occasion of the 10th anniversary of Pope Francis' encyclical
2025-02-05Legal ServicePriority areas of the new European Commission - Justice & Fundamental Rights.
2025-02-05Legal ServicePriority areas of the new European Commission - Justice & Fundamental Rights.
2023-09-11Cabinet of Commissioner Olivér VárhelyiEnlargement policy
2023-09-11Cabinet of Commissioner Olivér VárhelyiEnlargement policy
2023-02-28Cabinet of Commissioner Nicolas SchmitSocial Economy
2022-09-19Cabinet of Commissioner Nicolas SchmitSocial Economy and the SEAP implementation
2022-06-15Cabinet of Commissioner Olivér VárhelyiCelebrating the European Year of Youth
2022-06-15Cabinet of Commissioner Olivér VárhelyiCelebrating the European Year of Youth
2022-01-14Cabinet of Vice-President Margaritis SchinasArticle 17 dialogue
2022-01-14Cabinet of Vice-President Margaritis SchinasArticle 17 dialogue
2022-01-14Cabinet of Vice-President Margaritis SchinasArticle 17 dialogue
2021-11-25Cabinet of Executive Vice-President Frans TimmermansInterfaith Convention on the European Green Deal
2021-06-29Cabinet of Commissioner Olivér VárhelyiExchange of views on the future of Lebanon
2021-06-29Cabinet of Commissioner Olivér VárhelyiExchange of views on the future of Lebanon
2021-06-24Employment, Social Affairs and Inclusion…social policies and inclusion
2021-06-10Cabinet of Executive Vice-President Frans TimmermansEuropean Green Deal presentation and discussion
2021-06-10Cabinet of Executive Vice-President Frans TimmermansEuropean Green Deal presentation and discussion
2021-06-10Cabinet of Executive Vice-President Frans TimmermansEuropean Green Deal presentation and discussion
2021-06-10Cabinet of Executive Vice-President Frans TimmermansEuropean Green Deal presentation and discussion
2021-01-18Cabinet of Commissioner Olivér VárhelyiThe state of play on the Southern Neighbourhood policy
2021-01-18Cabinet of Commissioner Olivér VárhelyiThe state of play on the Southern Neighbourhood policy
2020-09-07Cabinet of Vice-President Dubravka ŠuicaGreen Paper on Ageing
2020-09-07Cabinet of Vice-President Dubravka ŠuicaGreen Paper on Ageing
2020-09-07Cabinet of Vice-President Dubravka ŠuicaGreen Paper on Ageing
2020-07-10Cabinet of Executive Vice-President Frans TimmermansDiscussion on the European Green Deal with the Catholic Youth
2020-06-16Cabinet of Executive Vice-President Frans TimmermansPreparation of youth dialogue meeting
2020-02-04Cabinet of Commissioner Olivér VárhelyiEU Enlargement and opening of accession talks with Albania
2020-02-04Cabinet of Commissioner Olivér VárhelyiEU Enlargement and opening of accession talks with Albania
2018-10-25Task Force for Relations with the United KingdomMeeting with the Task Force for the Preparation and Conduct of the Negotiations with the United Kingdom under Article 50 TEU
2015-11-10Employment, Social Affairs and Inclusion…social issues – including youth unemployment, the impact of austerity policies on citizens and child poverty
2015-11-10Employment, Social Affairs and Inclusion…social issues – including youth unemployment, the impact of austerity policies on citizens and child poverty

Ką pateikė viešoms konsultacijoms

2020-04-29 · Report on the application of the General Data Protection Regulation ↗ originalus šaltinis
While the enclosed file is to be considered as the actual contribution to this consultation, some key points expressed in the attachment are here summarised. The enclosed file is also based on findings provided by experts delegated by European Union Bishops' Conferences to the COMECE Legal Affairs Commission. - The fundamental right to freedom of religion, including its institutional dimension, is important in interpreting Art. 91 GDPR (Existing data protection rules of Churches and religious associations) and is relevant vis-à-vis the rights to erasure and to object. - Consent by the holder of parental responsibility over the child should be a possible legal basis in areas that do not fall…

Ką rašo savo pozicijos dokumentuose

Ištraukos iš organizacijos pačios įkeltų dokumentų, be trumpinimų ir perpasakojimų.
Report on the application of the General Data Protection Regulation · 5 p.

Commission of the Bishops’ Conferences of the European Union COMECE | Square de Meeûs 19 – BE-1050 Brussels | Tel. +32 2 235 05 12 | Email [email protected] Website: www.comece.eu | Facebook & Twitter @ComeceEu Evaluation and review of the General Data Protection Regulation A contribution by the Secretariat of COMECE (Commission of the Episcopates of the European Union) 1. Introductory remarks The Catholic Church supports and values protection of personal data and has specific and well-developed internal rules on the matter. The Church’s understanding of the importance of protection of personal data and privacy is reflected in its internal provisions: for instance, according to Canon 220 of the Code of Canon Law “No one is permitted to harm illegitimately the good reputation which a person possesses nor to injure the right of any person to protect his or her own privacy".

…the good reputation which a person possesses nor to injure the right of any person to protect his or her own privacy". This principle is at the core of the work of COMECE on the data protection dossier. The Church appreciates the approach taken with the General Data Protection Regulation (GDPR) to strengthen data protection and citizens' rights. It supports the attempt to reinforce fundamental rights in the EU and is committed to guarantee a high level of data protection in its structures. With the help of its Secretariat, COMECE assisted its member Bishops' Conferences through the process launched with the General Data Protection Regulation and will continue to help them to address the specific challenges posed by the file to the Church in the EU Member States.

…will continue to help them to address the specific challenges posed by the file to the Church in the EU Member States. Concerning the GDPR, dialogue was maintained by COMECE with both the European Commission and the European Data Protection Board, with the assistance of its Legal Affairs Commission. Throughout this first phase, the Church at the national level has entertained close and constructive relations with the respective Data Protection Authorities (DPAs). In general, Member States have expressed satisfaction with the level of protection of personal data ensured by the Catholic Church. Bishops' Conferences and Dioceses have been actively setting up internal training tools and initiatives on specific data protection issues. The GDPR has undoubtedly contributed to strengthening data protection culture and awareness in the EU at all levels and areas of society.

…contributed to strengthening data protection culture and awareness in the EU at all levels and areas of society. The option for a more invasive legislative tool, like a Regulation, created some difficulties. In this contest, the fact that the Regulation allowed national law to specify a number of aspects proved important. In the context of the ongoing GDPR evaluation and review, we take the liberty of submitting some observations and elements, based on extensive internal reflections and on first evidence of the relevance of the GDPR with regard to Church activities in the Member States. We would highlight the particular importance of remarks concerning Article 91 GDPR (pages 4-5). Ref. Ares(2020)2288072 - 29/04/2020 COMECE | Square de Meeûs 19 – BE-1050 Brussels | Tel.

Article 91 GDPR (pages 4-5). Ref. Ares(2020)2288072 - 29/04/2020 COMECE | Square de Meeûs 19 – BE-1050 Brussels | Tel. +32 2 235 05 12 | Email [email protected] Website: www.comece.eu | Facebook & Twitter @ComeceEu 2 Taking into account the evident impact that the Covid-19 crisis is having on protection of personal data and privacy, we take this opportunity to underline - in the strongest possible terms - that any temporary erosion of relevant standards, linked with this exceptional situation, will have to be eliminated at the earliest possible stage; and that even in the current phase, the highest possible protection of personal data and privacy must be ensured.

…and that even in the current phase, the highest possible protection of personal data and privacy must be ensured. 2. The fundamental right to freedom of religion Recital 4 of the Regulation highlights the provisions of the Charter of Fundamental Rights of the EU (CFR) in the light of which - in particular - the text should be interpreted and applied. Among them, the articles concerning the fundamental right to freedom of religion (Article 10 CFR) and respect for cultural, religious and linguistic diversity (Article 22 CFR). This GDPR provision is important in interpreting Article 91 GDPR on "Existing data protection rules of churches and religious associations" (on which more at pages 4-5). In accordance with Article 52.3 CFR, Article 10 CFR covers the collective, as well as the institutional dimension of freedom of religion, as outlined in the protective jurisprudence of the European…

…alia, about its obligation to record sacraments, as well as defining and applying its internal data protection rules. 3. Lawfulness of processing A specific question with regard to legal basis' for processing concerns consent as a possible legal basis for processing when a child is involved: the GDPR provides limited indications at its Article 8, which are relevant only for information society services. The question of how to address the issue in areas that do not fall under the offer of information society services remains open to the national legislator. Consent by the holder of parental responsibility over the child should be referred to as a possible legal basis in such cases. This also affects the Church's approach and its mission in favour of children and youth, in particular catechesis. 4.

This also affects the Church's approach and its mission in favour of children and youth, in particular catechesis. 4. Right to erasure While Directive 95/46/EC already referred to a right to erasure at Article 12, point (b), the formulation adopted with the Regulation is decidedly more developed and pervasive. The cases in which the data subject has the right to request erasure of personal data concerning him/her are quite broadly worded and therefore create grounds for a multiplication of requests.

…data concerning him/her are quite broadly worded and therefore create grounds for a multiplication of requests. Concerning the explicit and close link established by Article 17.1, point (c) GDPR between the exercise of the right to object (Article 21.1 GDPR) and the right to erasure, it is to be recalled that § 78 of the Explanatory Report to the Protocol amending the Convention for the Protection of Individuals with regard to Automatic Processing of Personal Data, underlines that: "The right to object operates in a distinct and separate manner from the right to obtain rectification or erasure". COMECE | Square de Meeûs 19 – BE-1050 Brussels | Tel. +32 2 235 05 12 | Email [email protected] Website: www.comece.eu | Facebook & Twitter @ComeceEu 3 In general, the clauses of Article 17.3 GDPR seem insufficient in the protection of the rights of data controllers.

…general, the clauses of Article 17.3 GDPR seem insufficient in the protection of the rights of data controllers. Concerning the exception related to the exercise of the fundamental right of freedom of expression and information - Article 17.3, point (a) GDPR - the same approach could have been adopted for the fundamental right to freedom of religion, considering that both freedoms are identified by the jurisprudence of the European Court of Human Rights among the foundations of a democratic society. The reference to "archiving purposes" - Article 17.3, point (d) GDPR - is somewhat restricted by its link with the "public interest" element, despite the useful integration provided by Recital 158.

…restricted by its link with the "public interest" element, despite the useful integration provided by Recital 158. Preservation of Church sacramental records from erasure of historical facts and events that have taken place within the Church community is indispensable to the Church for carrying out its institutional mission (e.g. celebrating sacraments such as baptisms, marriages etc.) and for protecting interests of relevant family members. As recalled above, the fundamental right to freedom of religion has a personal but also an institutional aspect. Bearing this in mind, as the recording of a sacrament (e.g. baptism) in a Church record also represents an important aspect of the function of an ecclesial body, erasure of the relevant records could lead to the violation of the fundamental right in question.

…of an ecclesial body, erasure of the relevant records could lead to the violation of the fundamental right in question. 5. Right to object The impact of the reversal of the burden of proof introduced with Article 21.1 GDPR should be carefully assessed, particularly considering that the broad and open formulation of the provision can cause an increase in litigation. The previous references to the need to balance the right to protection of personal data with the the right to freedom of religion, in particular in its institutional dimension, are also relevevant for the right to object.

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originalus šaltinis (PDF) ↗

Kokias ES temas nurodo sekanti

• Implementation of Article 17 TFEU
• General Data Protection Regulation
• Proposal to recast the Child sexual abuse directive
• Non-discrimination policies, legislation and jurisprudence
• Anti-Christian hatred in the EU
• Freedom of Religion inside the EU
• EU Non-profit laws
• EU Democracy Shield
• Omnibus IV simplification package
• EU anti-money laundering legislation
• Rights of the Child
• European Pillar of Social Rights Action Plan
• Future of work
• Working time EU legislation
• Social Market Economy
• Unemployment policies
• Reconciliation of work and family life
• Democracy at work