As the Data Protection Officer, your 2B Advice appointed DPO will determine — once provided with proper access to the appointing entity, its management, relevant records, systems and employees — what the appointing entity would need to do to achieve privacy compliance, make the appropriate recommendations, and supervise the implementation of proposed remedial measures. As we are bound to do this in professional independence, we don’t commit to a specific roadmap but stipulate that we will perform all steps required to make the necessary determinations and issue the appropriate recommendations. This ensures that we are not simply running down a checklist or list of deliverables but retain responsibility for achieving the promised outcome.