GDPR Art. 30 records of processing — automated discovery vs manual inventory at 200+ microservices?
Jurisdiction: EU, DE Maintaining Art. 30 processing records across 200+ microservices is becoming unsustainable with spreadsheets. We're evaluating automated data-flow mapping tools but the DPO insists on human review of every mapping. What's worked at scale: - Did you automate discovery (API scanning, traffic analysis) or keep it manual? - How do you handle cross-border data transfers in the inventory when services span EU/US regions? - What tooling passed your supervisory authority's review?