Data Protection Atlas

Croatia

Tier 2 Comprehensive law Europe

Principal framework: GDPR + GDPR Implementation Act (2018). Regulator: AZOP. Specific rules for biometric data and video surveillance.

At a glance

Criminal offences
Yes — a dedicated offence carrying custody exists
Public-sector fines
No — core public bodies exempt
Principal law
Zakon o provedbi Opće uredbe o zaštiti podataka [Act on the Implementation of the General Data Protection Regulation]
Regulator
Agencija za zaštitu osobnih podataka (AZOP)
Breach notification
72 hours to the supervisory authority (Art 33); undue-delay notice to individuals at high risk
Maximum penalty
Up to €20m or 4% of global annual turnover
DPO required
Public authorities; large-scale regular monitoring or special-category processing (Art 37)
Digital consent age
16
Extraterritorial reach
Yes — targeting or monitoring people in the EU (Art 3(2))
National implementing act
GDPR Implementation Act 2018

Structure

Structural pattern
Not assessed
Sub-jurisdictions
None — no sub-national axis
ISO code
HR

A Pattern 4 jurisdiction has no sub-national layer to model. Devolution elsewhere in the legal system does not imply it here — check each Act rather than reasoning from the country.

Transfers and adequacy

EU member
Yes
EEA member
Yes
Holds EU adequacy
Yes

EU/EEA member — intra-EEA transfers need no adequacy decision.

Instruments

No instrument profiled yet.

Also applies here

Directly applicable as EU law, without national transposition. The national act supplements it rather than replacing it.

Sources

Never independently verified — seeded from the prototype.