Data url maker plugin
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This is broken down into several main parts and forms the core_privacy subsystem: UML diagram of the request providers part of the privacy subsystemĪ new system for Privacy has been created within Moodle. The sections that follow outline what you need to do as a plugin developer to ensure any personal data is advertised and can be accessed and deleted according to the GDPR requirements. These may have been made by an assessor or teacher, but are considered the personal data of the student, as they are considered a reflection of the user’s competency in the subject matter and can be used to form a profile of that individual.
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Additionally, any free text field which allows the user to enter information must also be considered to be the personal data of that user.ĭata stored about the user includes things like ratings and comments made on a student submission. Any data on the record (or linked records) pertaining to that user may be deemed personal data for that user, including things like timestamps and record identification numbers. The most obvious clue to finding personal data entered by the user is the presence of a userid on a database field. Both types of data can be used to form a profile of the individual. The key difference being that information stored about the user will have come from a source other than the user themselves. In Moodle, we need to consider two main types of personal data information entered by the user and information stored about the user. ‘personal data’ means any information relating to an identified or identifiable natural person (‘data subject’) an identifiable natural person is one who can be identified, directly or indirectly, in particular by reference to an identifier such as a name, an identification number, location data, an online identifier or to one or more factors specific to the physical, physiological, genetic, mental, economic, cultural or social identity of that natural person
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6.2 What to do if your plugin must implement a subplugin or subsystem plugin provider.6.1 What to do if you have one plugin that supports multiple branches.5 Difference between Moodle 3.3 and more recent versions.
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4.2.1.1 Retrieving the list of contexts.4.2.1 Standard plugins which store data.4.2 Providing a way to export user data.4.1.5 Indicating that you export data to an external location.4.1.4 Indicating that you store site-wide user preferences.4.1.3 Describing data stored in database tables.4.1.2 Indicating that you store content in a Moodle subsystem.4.1 Describing the type of data you store.3 Plugins which do not store personal data.Target Audience: The intended audience for this document is Moodle plugin developers, who are aiming to ensure their plugins are updated to comply with GDPR requirements coming into effect in the EU in May, 2018. This document describes the proposed API changes required for plugins which will allow a Moodle installation to become GDPR compliant. These need to also be able to report what information they store or process regarding users, and have the ability to provide and delete data for a user request. The compliance requirements also extend to installed plugins (including third party plugins). request information on the types of personal data held, the instances of that data, and the deletion policy for each.This includes a number of components, amongst others these include a user’s right to: To help institutions become compliant with this new regulation we are adding functionality to Moodle. The directive will be respected by a number of other countries outside of the European Union. This regulation will come into effect on 25th of May 2018 and covers any citizen or permanent resident of the European Union. The General Data Protection Regulation (GDPR) is an EU directive that looks at providing users with more control over their data and how it is processed.