EN
The opinion contains an analysis of duties of a Deputy as an administrator within the meaning of the General Data Protection Regulation (GDPR). The problem of a consent to data processing by the Deputy’s office is discussed herein, as well as its features on the basis of GDPR and the guidelines by Article 29 Data Protection Working Party and issues related to obtaining the consent of the person, whose personal data is to be processed. Matters related to protecting data are also presented. It is pointed that the control of implementing the GDPR is based on the provisions of the national law (the act on personal data protection).