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Final Draft of EU AI Act Leaked

Hunton Privacy

This follows the definition proposed by the European Parliament, which is aligned with the Organization for Economic Co-operation and Developmentā€™s definition of AI. AI systems that present unacceptable risks to the fundamental rights of individuals would be prohibited under the AI Act. High Risk AI Systems. Transparency Risks.

Risk 114
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Regulatory Update: NAIC Summer 2021 National Meeting

Data Matters

The National Association of Insurance Commissioners (NAIC) held its Summer 2021 National Meeting (Summer Meeting) August 14-17, 2021. Highlights include, among others, adoption of revised risk-based capital bond factors for life insurers, amendments to SSAP No. NAIC Adopts Revised Risk-Based Capital Bond Factors for Life Insurers.

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The Good, Bad, And The Ugly: Key Takeaways From Californiaā€™s New Privacy Law

Privacy and Cybersecurity Law

The CCPAā€™s definition of ā€œconsumerā€ is equally broad. This definition therefore not only encompasses a ā€œconsumerā€ in the traditional sense (i.e., The business community is already lobbying the California legislature to narrow this definition. The International Association of Privacy Professionals estimates at least 500,000 U.S.

Privacy 58
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The Good, Bad, And The Ugly: Key Takeaways From Californiaā€™s New Privacy Law

Privacy and Cybersecurity Law

The CCPAā€™s definition of ā€œconsumerā€ is equally broad. This definition therefore not only encompasses a ā€œconsumerā€ in the traditional sense (i.e., The business community is already lobbying the California legislature to narrow this definition. The International Association of Privacy Professionals estimates at least 500,000 U.S.

Privacy 58
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East Coast Meets West Coast: Enter the Virginia Consumer Data Protection Act

Data Matters

These are (i) government entities; (ii) entities subject to the Gramm-Leach-Bliley Act; (iii) entities subject to the Health Insurance Portability and Accountability Act of 1996 (HIPAA) and Health Information Technology for Economic and Clinical Health Act; (iv) nonprofits; and (v) institutions of higher education. the sale of personal data.

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GDPR is upon us: are you ready for what comes next?

Data Protection Report

Since responding to a DSAR may be the first GDPR compliance test for most organizations, we outline below some common pitfalls that may present challenges and practical tips for addressing them. What are some common pitfalls to implementing a data subject access response procedure? Challenge #1. Will GDPR become a global standard?

GDPR 40
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The debate on the Data Protection Bill in the House of Lords

Data Protector

The stakes are high, not least because the introduction of greater friction in data transfers could present a real barrier to future trade. The Bill says that manual unstructured files come within that category. Arguably, that creates more risk for children, but definitely it will create more data.

GDPR 120