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Paul Greaves

European Commission Publishes Draft ‘Article 28’ Standard Contractual Clauses

November 18, 2020 By Paul Greaves, Wim Nauwelaerts and Privacy, Cyber & Data Strategy Team

In addition to issuing new (draft) standard contractual clauses for transferring personal data outside of the EEA, on November 12, the European Commission published a draft decision on standard contractual clauses between controllers and processors (‘Clauses’) for the matters referred to in Article 28(3) and (4) of Regulation (EU) 2016/679 (“GDPR”). Article 28(3) and (4) […]

Filed Under: Board Governance & Cyber Risk Management, Privacy & Cyber Regulatory Enforcement

EDPB Emphasizes Joint Controllership between Social Media Providers and ‘Targeters’ in Draft Guidance

September 10, 2020 By Paul Greaves

On September 7, 2020, the European Data Protection Board (‘EDPB’) published its draft guidelines on targeting of social media users (the ‘Guidelines’). The EDPB is accepting feedback from stakeholders on the Guidelines until October 19, 2020. The Guidelines not only provide guidance on the obligations of social media providers (‘Providers’) under the EU General Data […]

Filed Under: Board Governance & Cyber Risk Management, European Privacy & Cybersecurity, Privacy & Cyber Regulatory Enforcement Tagged With: Behavioral Tracking, EU Data Protection, EU Privacy, EU Regulation, European Union (EU), GDPR, GDPR Implementation, Marketing, Regulatory Enforcement, Social Media

European Parliament Committee Meeting Provides Insight into the Future of EU-US Personal Data Flows

September 7, 2020 By Paul Greaves

On September 3, 2020, The EU Parliament’s Committee on Civil Liberties, Justice and Home Affairs (the LIBE Committee), met to discuss the future of future of EU-US personal data flows following the Schrems II decision. In particular, the session was attended by Max Schrems, EU Commissioner for Justice Didier Reynders, and Andrea Jelinek (head of […]

Filed Under: Board Governance & Cyber Risk Management, Privacy & Cyber Regulatory Enforcement Tagged With: Cross-border, EU Data Protection, EU Privacy, EU Regulation, European Court of Justice, GDPR, Max Schrems Decision

German DPA Publishes Schrems II Transfer Compliance Checklist and Suggested Modifications to SCCs

August 26, 2020 By Daniel Felz and Paul Greaves

On August 24, 2020, the data protection authority of the German state of Baden-Württemberg (the “DPA”) published guidance (the “Guidance”) on international transfers of personal data following the Schrems II judgment (which we have previously covered here). This represents the first comprehensive guidance by a European privacy supervisor indicating how it intends to enforce the […]

Filed Under: Board Governance & Cyber Risk Management, Privacy & Cyber Regulatory Enforcement, Uncategorized Tagged With: Cross-border, European Court of Justice, European Union (EU), GDPR, International Data Transfers, Max Schrems Decision, Regulatory Enforcement

After Schrems II: A Proposal to Meet the Individual Redress Challenge

August 18, 2020 By Paul Greaves

On July 16, 2020, the Court of Justice of the European Union (CJEU) invalidated the EU-U.S. Privacy Shield in the Schrems II case. In an article written by Georgia Tech professor and Alston & Bird Senior Counsel Peter Swire with co-author Kenneth Propp, entitled ‘After Schrems II: A Proposal to Meet the Individual Redress Challenge’, […]

Filed Under: Board Governance & Cyber Risk Management, Privacy & Cyber Regulatory Enforcement Tagged With: Cross-border, EU Data Protection, EU Privacy, EU Regulation, European Court of Justice, European Union (EU), GDPR, International Data Transfers, Max Schrems Decision

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