Beyond the GDPR tasks, the officer of a public body at least informs and advises the body and its staff on their obligations (including law enforcement rules), monitors compliance with the law and internal policies (assignment of responsibilities, awareness-raising, staff training and audits), advises on and monitors data protection impact assessments under s 67, cooperates with the supervisory authority and acts as its contact point, including for prior consultation under s 69. For officers designated by courts, the tasks exclude judicial activity. Other tasks may be given only where the controller or processor ensures they create no conflict of interest; the officer works in a risk-oriented way, weighing what the processing is, how far it reaches, its setting and its aims.
This control maps to 1 controls across 1 other frameworks. If you already hold one of them, the evidence you collected for it is the starting point here rather than new work.
Every mapping shown was judged rather than inferred from wording similarity, and the ones that failed review are published too. See the coverage reports and what was rejected.
The graph holds this control, the 1 it maps to, and the evidence behind each claim, over MCP and REST.