Blog

Record Fine Proposed Under GDPR

Sébastien Gittens, Martin Kratz and Michael Whitt
July 11, 2019
Social Media
Download
Download
Read Mode
Subscribe
Summarize

Any doubt that the world of data protection changed profoundly when the European Union’s General Data Protection Regulation (GDPR) came into effect on May 25, 2018, were solidly dispelled when the United Kingdom’s Information Commissioner’s Office (ICO) issued a notice of its intention to fine British Airways a record £183.39 million (C$300 million) for infringements of that law. While the GDPR allows penalties of up to 4.0 percent global annual turnover of an organization, the proposed British Airways fine is close to 1.5 percent of its 2017 global turnover.

The ICO’s investigation found that British Airways’ “poor security arrangements” was responsible for a cyber incident in June 2018, that allowed user traffic to the airline’s website to be diverted to a fraudulent site where the personal information of approximately 500,000 individuals was harvested by attackers.

The airline will have opportunity to make representations to the ICO as to the proposed findings and sanction; but this and other recent announcements by the UK regulator highlights the potentially large liability that may be imposed under GDPR?—not only for organizations that have an establishment in the European Union, but other organizations as well. Indeed, the GDPR has extraterritorial effect as it is intended to apply to any natural or legal person, public authority, agency or other body outside of the European Union who:

  1. targets individuals in the European Union by offering goods or services (regardless of whether a payment is required); or
  2. monitors the behavior of individuals in the European Union (where that behaviour takes place in the European Union).

Given the sweeping extraterritorial application of the GDPR, together with significant fines that may be issued thereunder, Canadian organizations are cautioned to be mindful of the potential application of the GDPR, and periodically evaluate whether this law may apply to their operations.

If you would like to learn more about the effects of GDPR or other data protection and privacy regulatory regimes on your business, members of our Data Protection and Governance team can assist, and where required, can direct you to experienced European counsel.

Social Media
Download
Download
Subscribe
Republishing Requests

For permission to republish this or any other publication, contact Erica Wirthlin at wirthline@bennettjones.com.

For informational purposes only

This publication provides an overview of legal trends and updates for informational purposes only. For personalized legal advice, please contact the authors.

Economic Outlook Mid Year 2026
Update

2026 Mid-Year Economic Outlook

May 27, 2026
Serge Dupont
Serge Dupont
The Impact of Global Trade on the Life Sciences Sector
Blog

The Impact of Global Trade on the Life Sciences Sector

May 26, 2026
Alison G. FitzGeraldNasra Moumin
Alison G. FitzGerald & Nasra Moumin
2026 Life Sciences outlook
Update

Life Sciences Outlook 2026

May 26, 2026
Vincent M. de GrandpréMelissa M. Dimilta
Vincent M. de Grandpré & Melissa M. Dimilta
Life Sciences Collaborations and the Risk of Joint Patent Infringement
Blog

Life Sciences Collaborations and the Risk of Joint Patent Infringement

May 26, 2026
Emily P. KettelVincent M. de Grandpré
Emily P. Kettel & Vincent M. de Grandpré