Data Protection in Switzerland

Registration in Switzerland

The FADP does not require the registration of any data collections or processing activities for private data controllers. Instead, the FADP provides for a general duty for controllers and processors to maintain a record of processing activities (ROPA). The controller's ROPA shall at least contain the following information:

  • The controller's identity;
  • the purpose of the processing;
  • a description of the categories of data subjects and the categories of processed personal data;
  • the categories of the recipients;
  • if possible, the period of storage of the personal data or the criteria to determine this period;
  • if possible, a general description of the measures taken to guarantee data security;
  • if the data is disclosed abroad, details of the country concerned and the implemented guarantees.

The processor's ROPA may be limited to information on the identity of the processor and of the controller, the categories of processing activities performed on behalf of the controller as well as, if possible, a general description of the data security measures and, in case of cross-border data transfer, the details of the country concerned and the implemented guarantees.

However, companies with less than 250 employees as well as natural persons do not have to maintain a ROPA unless:

  • They process sensitive personal data on a large scale; or
  • they carry out high-risk profiling.
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