The Polish regulatory authority has imposed a fine of the equivalent of CHF 50,000 on a Marketing service provider because the latter had intentionally failed to take reasonable measures to enable the withdrawal of consent (Art. 7(3) GDPR) and the right to erasure (Art. 12(2) and 17 GDPR). Among other things, the information on this was misleading and revocation was only possible with a statement of reasons, which was inadmissible.