Use of the Social Security Number in France


Under article 87 regulation (EU) 2016/679 General Data Protection Regulation GDPR, member states may define the specific conditions for the processing of a national identification number or any other identifier of general application. As discussed below, France has made an interesting application of this rule regarding, in particular, the social security number. 

French Approach Toward Social Security Numbers

In France, the number referred to as “NIR” (which stands for “numéro d’indentificaiton nationale” or “social security number”) has always required particular care and protection as it is the only unique identifier for each individual and is tied to personal data including gender and date of birth. The NIR may be used for identity theft while at the same time, be used as an error-free ID reference, for the purpose of combining data from various sources at a very large scale.

Therefore, France has provided for specific rules in relation to its use.

Decree of April 2019

Article 30 of the French Data Protection Act requires that processing activities involving the use of the social security number will be set by decree of the Council of State, including the categories of controllers and the permitted purposes.

On April 19, 2019, the French government adopted Decree number 2019-3014, which identifies controllers and the permitted purposes of processing. Such use is permitted in the fields of:

For most of these categories, the relevant controllers are public bodies, agencies, associations, funds, authorities, ministries, judges, etc. The decree describes in detail the permitted use in each of these fields with a reference to one or several laws that impose the use of the social security number in such context.

HR Processing in the Private Sector Under the Decree

Processing activities that may be performed by employers in the private sector are restricted to:

In each case, usage is restricted to the uses of a social security number when and as imposed by applicable law.

In addition:

The implementation of the processing activities as set out by law is without prejudice to the other obligations on the controllers or their processors pursuant to Section 3 of Chapter IV of the GDPR.

Other Processing Activities Covered By the French Data Protection Act

The French Data Protection Act provides for specific rules for different categories of processing activities that may involve the use of the social security number, namely:

Key Takeaway

There is a legitimate concern to protect individuals against the misuse of the national identification number. As a result, in some countries, including France, the regulation imposes severe restrictions. This is one of the areas where the call for harmonization by GDPR cannot be achieved and the organization may have to review their practices.


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National Law Review, Volume X, Number 24