Sending or making worker information accessible to a legally distinct receiver outside the UK, including a group company or an overseas monitoring vendor acting as processor, is a restricted transfer that must be covered by adequacy regulations, appropriate safeguards (after a transfer risk assessment) or an exception; sending it to the employer's own staff abroad is not a restricted transfer.
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.