I’d be really keen to host a lemmy instance but just wondering with GDPR and everything, if there is anything else to consider outside of the technical setup and provisioning of hardware?
Lemmy is storing users data so is there any requirement to do anything GDPR wise?
Hope this is the right place for this - But seen a lot of posts interested in hosting their own lemmy instance, and this is an extension of that
Obviously IP addresses are personal data, but those are not shared to other instances.
You could probably argue that the federated ID is personal data, but I am not sure as it might also count as only an internal identifier required for operation. IANAL but I don’t think votes can be considered personal data under the GDPR.
Question boils down to where is the boundary. Does an alias of your choosing, which uniquely identifies you across the fediverse personally identifiable? I think we all would say yes. Does then actions linked to that alias constitutes as personally identifiable? Well, in absence of the correlation of the ID, it is still technically possible to map out who this user is and what their interests and preferences are, so maybe yes? That’s a hard grey area to determine IMO.
I think as @danieljackson@lemmy.world commented slightly higher up, this might be considered pseudonymised data? The link he provided suggested it was considered personally indentifying information - I’m (as per my question) definitely no expert in this though
The link I provided says that pseudonymous data can be used to hide personalized data.
The owner of lemmy.one can use tk338@lemmy.one to map it to an IP and/or email address. This becomes now personally identifiable data. But other instance owners can’t map it to any personalized data, so it is basically “anonymized data” for them.
You just have to provide a way to either
Disclaimer, IANAL, YMMV, yaddy, yadda,…
Understood, missed that subtelty. The fact emails aren’t actually shared makes it very GDPR “friendly”
Indeed, but I think email addresses for email providers (but not everyone else) are handled differently by the GDPR as they are necessary for providing the email service. I think this is similar to how functional cookies do not require consent under the GDPR if they are only used to keep you logged into the site etc.