Nordic privacy catalog
Selected directories and lookup services in Norway, Sweden, and Denmark. You have GDPR rights — but most controllers require you to submit requests yourself.
Beta: GDPR drafts for 1881, Gulesider, Eniro, Hitta.se, Kraks, De Gule Sider, and 118.dk (plus Proff, Mrkoll, and Ratsit). Requests are stored locally — you send, mark as sent, and can export JSON.
Product tiers
GDPR draft rights should remain available. Paid value should come from structure, insight, and follow-up.
Free
Catalog, single drafts, and local tracking for users who want to do the work themselves.
Signed-in
Synced cases, identity vault, and basic reminders without shifting responsibility away from the user.
Pro
Guardian bundles, action packs, progress report, and a richer case workspace.
Future Agent
Not active. Requires power of attorney, legal review, and support operations before launch.
Privacy Map
An overview of which privacy workstreams appear most relevant right now, and what you have already started.
Directories and people search
Possibly relevant9 possible sources to review. No cases started yet.
Credit and risk data
Limited automation0 possible sources to review. No cases started yet.
Public registers and limits
Limited automation2 public-record style sources with limited or partial removal. No cases started yet.
Marketing and profiling
Limited automation0 possible sources to review. No cases started yet.
Breach follow-up
Possibly relevant9 possible sources to review. No cases started yet.
Manual login and BankID
Needs manual check4 controllers may require login, BankID, or SMS checks. No cases started yet.
Action packs
Start concrete privacy workflows grouped by risk type. Packs show relevant actions, not confirmed matches.
Start with Nordic directories
Good first step to reduce casual lookup exposure.
These are common directories and people-search sources where GDPR erasure or objection often makes sense.
5 suggestions
- 1881
- Gulesider
- Eniro Norge
- Hitta
Breach follow-up
Create access requests after breach signals.
If Guardian found breaches, start with access requests to understand what data may be circulating.
3 suggestions
- 1881
- Gulesider
- Eniro Norge
Credit and risk overview
Check what credit or debt-related actors hold about you.
Credit and debt actors may have legitimate retention duties, so start with access and correction-oriented workflows.
0 suggestions
Public records: what can and cannot change
Review partial-removal or correction-only sources.
These sources often require nuance: visibility may be reduced, corrected, or objected to, but not fully erased.
2 suggestions
- Proff
- Ratsit
Marketing and consent cleanup
Focus on profiling, objection rights, and consent withdrawal.
This pack is intentionally conservative. It should only surface controllers where objection or consent cleanup is meaningful and verifiable.
0 suggestions
Manual login and BankID tasks
Controllers that need a portal login, SMS, or BankID step.
FilKlar can prepare the case and reminder flow, but you still have to authenticate yourself on the controller side.
4 suggestions
- 1881
- Gulesider
- Hitta
- Eniro Sverige
Privacy Progress Report
An honest progress report based on what you have actually started, sent, and followed up.
Waiting: 0
Completed: 0
Follow-ups due soon: 0
Limited-removal sources: 2
Manual login / BankID: 4
Catalog
Typical response times are indicative based on public privacy pages — not a guarantee.
Honest about automation
No source supports automatic removal via FilKlar. Sources marked “GDPR draft” get a Norwegian letter template you copy and send yourself. We never show “deleted” without controller confirmation. Not legal advice.
