On Friday, the Consumer Financial Protection Bureau announced its “finalized amendments” to Regulation P, an implementing regulation of the federal financial Gramm Leach Bliley Act. Regulation P governs the provision of privacy notices for covered financial institutions. In response to legislation passed by Congress in late 2015, the final rule issued Friday permits financial institutions […]
Regulation
Landmark New Privacy Law in California to Challenge Businesses Nationwide
Following our June 4 and July 2, 2018 blog posts tracking California’s November 2018 ballot measure turned hastily enacted new California privacy law titled The California Consumer Privacy Act of 2018 (CCPA), Alston & Bird’s Privacy & Data Security Group released a more detailed “first look” review of California’s sweeping new law. The advisory provides an overview of […]
German DPA Announces GDPR Compliance Survey of Large Companies – Translation Provided
Following a two-year grace period, EU General Data Protection Regulation (GDPR) entered into force on May 25, 2018. For many companies, preparing for the GDPR was a multi-year project involving multiple teams and input or assistance from across the organization. On this blog, we have outlined the items we have seen as particularly time- or […]
GDPR Fragmentation May Appear More Significant than Intended
With the entry into application of the GDPR on May 25, 2018, the EU Member States were expected to have adopted national legislation implementing the regulation. To date, however, only 30% of Member States have effectively passed legislation, which still leaves the legal landscape to be precarious. The GDPR allows for deviations and specifications in […]
EU Supervisory Authorities Disclose DPO Notification Tools
Shortly after the GDPR’s entry into application on May 25, 2018, several EU Supervisory Authorities have activated online Data Protection Officer (“DPO”) notification tools, allowing organizations to communicate the contact details of their DPO to the Supervisory Authorities, which is a requirement under Article 37 GDPR. While the DPO Guidelines of the Article 29 Working […]