One company submitted a request for access to the information addressed to the Spanish Data Protection Agency to know the content of an infringement warning file to a private entity, considering that it is interested in this procedure insofar as it is the complainant.
The administration denied the information on the grounds that the limitation of Article 14.1.j) of the LTAIBG was applicable and that it was possible to harm professional secrecy and industrial property.
When a complaint was filed, the Transparency and Good Government Council considered it in part, considering that the limit invoked for those parts of the file that contain information classified as commercial secrecy, such as some contracts between private parties and the procedure for attracting customers, does apply, the rest of the file being accessible.