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Privacy & Cyber Regulatory Enforcement

EDPB clarifies Brexit obligations for holders of Binding Corporate Rules which have the UK ICO as their lead authority

July 23, 2020 By Paul Greaves, Wim Nauwelaerts and Privacy, Cyber & Data Strategy Team

On July 22, 2020, the European Data Protection Board (‘EDPB’) released an information note on Binding Corporate Rules (‘BCRs’), which provides guidance for groups of undertakings/enterprises which have the UK ICO as their competent supervisory authority (‘BCR Lead SA’) [1]. Binding Corporate Rules are a means of legitimizing transfers of personal data outside of the […]

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

European Data Protection Board Statement Provides Preliminary Insight into Use of Standard Contractual Clauses Following Schrems II Judgment

July 20, 2020 By Wim Nauwelaerts and Paul Greaves

On July 17, 2020, the European Data Protection Board (‘EDPB’) published a statement on the outcome of the Schrems II judgment, passed by the Court of Justice of the European Union (‘CJEU’) the day before. The judgment invalidated the EU-U.S. Privacy Shield, and issued a number of clarifications and caveats on the use of Standard […]

Filed Under: Board Governance & Cyber Risk Management, European Privacy & Cybersecurity, Privacy & Cyber Regulatory Enforcement Tagged With: EU Data Protection, EU Privacy, EU Regulation, European Court of Justice, European Union (EU), GDPR, Max Schrems Decision, Safe Harbor 2.0

Geopolitical Implications of the European Court’s Schrems II Decision

July 17, 2020 By Privacy, Cyber & Data Strategy Team

On July 16, 2020, the Court of Justice of the European Union (CJEU) invalidated the EU-U.S. Privacy Shield, a principal legal method for the transfer of personal data from the EU to the United States. The CJEU ruling further cast doubt on the standard contractual clauses, the other means of effecting such international transfers. In […]

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

EU DPAs Announce Post-Schrems Enforcement Plans

July 16, 2020 By Daniel Felz

Today, the European Court of Justice (ECJ) issued its much-anticipated decision in the Schrems II case.  As we analyze in detail in an earlier blog post, the ECJ’s decision invalidates Privacy Shield while leaving Standard Contractual Clauses (SCCs) formally intact – although relying on SCCs may become more complicated than in the past. A number […]

Filed Under: Board Governance & Cyber Risk Management, European Privacy & Cybersecurity, Privacy & Cyber Regulatory Enforcement Tagged With: Data Transfers, European Court of Justice, European Union (EU), GDPR, Germany, Max Schrems Decision, Privacy Shield, Regulatory Enforcement

Schrems 2.0: CJEU invalidates EU-US Privacy Shield and emphasizes exporter obligations when using Standard Contractual Clauses

July 16, 2020 By Paul Greaves and Wim Nauwelaerts

Executive Summary Today, the Court of Justice of the European Union (‘CJEU’) handed down its long-awaited judgment in the ‘Schrems 2.0’ case (Facebook Ireland and Schrems (Case C-311/18)), about the validity of two means of legitimizing transfers of personal data outside the EEA under the EU General Data Protection Regulation (‘GDPR’)[1]. In somewhat of a […]

Filed Under: Adtech & Digital Tracking, Board Governance & Cyber Risk Management, Consumer Protection/FTC, European Privacy & Cybersecurity, National Security & Digital Crimes, Privacy & Cyber Regulatory Enforcement Tagged With: EU Data Protection, EU Regulation, European Court of Justice, European Union (EU), Federal Trade Commission (FTC), GDPR, International Data Transfers, Max Schrems Decision, Regulatory Enforcement

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