Competitor Analysis

Joint Controllers
Bepro and Customer
a) Categories of personal data; b) Categories of data subjects; c) Duration of Processing; d) Location of Processing
a) Names, movements, plays and other activities during the match, statistics on the efficiency and/or playstyle of the players b) Players of Customer’s or Customer’s competitors’ teams c) During the analysis and afterwards until the end of the respective contract d) EU and South Korea; if applicable, country where Customer accesses the data or where match is being recorded
a) Point of Contact; b) Transparency Obligations; c) Data Subject Rights; d) Deletion Concept; e) Data Breach Notifications; f) DPIAs; g) Other Responsibilities
a) Bepro (DPO of Bepro Europe GmbH see PART 1) b) Bepro c) Bepro d) Bepro e) Bepro f) Bepro g) Bepro
a) Subject Matter; b) Means of Processing; c) Purposes
a) Analysis of video recordings of public soccer matches. Recordings and analyses are made available to all teams of the same league that make their own recordings/analyses available for the same purpose. b) Analysis by proprietary software of Bepro, assisted by manual analysis by Bepro personnel where necessary c) Creation and preparation of detailed play analyses (e.g. on the number and success rate of passes between players) for Customer (to improve counter-tactics against competing teams through getting access to the Bepro archive by offering recordings and analyses of their own) and for Bepro (to offer an archive of recordings and analyses for competing teams that incentivizes them to share their own videos and analyses in the same archive)