The online guide explains the law applicable to Algerian companies' personal data. This workbook does something else: it turns that law into dated decisions, in a format you can print, fill in and archive.
It starts from a field observation. In improvised efforts, four gaps recur: a fuzzy processing map, legal bases confused with checkboxes, foreign hosting discovered after the fact, and no breaches register when the incident arrives. Each gap takes one sheet; all of them cost dearly when discovered by the authority rather than by you.
What you receive
- A PDF designed to be printed and annotated: each sheet starts on a fresh page.
- The 'declaration or authorisation?' test applied processing by processing.
- Three checklists — the mapping, the information notices, the breaches register.
Included
- French, Arabic and English versions
- Updates whenever the texts or the authority's published guidance evolve
Not included
- The filings themselves: they are made on the national data protection authority's portal
- No pricing: no public fee schedule was available at our verification date, so no procedure is priced
- Any personalised legal advice
Frequently asked questions
No, and it says so in plain words. Declarations and authorisation requests are filed on the national authority's official portal, then handed in at its desk. The workbook prepares what you must decide beforehand: which processings to declare, which to authorise, which documents to gather.
Because no public fee schedule was accessible at our verification date. The only amounts cited come from the statute itself — fines and penalties. Rather than an unverifiable figure, the workbook gives you the exact reference of every rule.
Yes, completely. That one organises certificate deployment; this one organises your data-processing compliance: mapping, legal bases, people's rights, security, transfers abroad. The two complement each other — electronic certification is itself a data processing governed by Article 42 of the same law.