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FRANCE: THE CNIL PUBLISHES ITS DATA PRIVACY IMPACT ASSESSMENT (DPIA) GUIDELINES AND A LIST OF PROCESSING OPERATIONS SUBJECT TO A DPIA

DLA Piper Privacy Matters

The CNIL stresses that there is no need for a DPIA when : the processing does not present a high risk to the rights and freedoms of data subjects; or. The CNIL stresses that there is no need for a DPIA when : the processing does not present a high risk to the rights and freedoms of data subjects; or. connected cars, smart grid etc.);

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CCPA In-Depth Series: Draft Attorney General Regulations on Consumer Notice

Data Matters

The regulations also provide detailed guidance on what this notice must include: a summary of the incentive program and its material terms, including the categories of personal information that are implicated by the financial incentive or price or service difference; an explanation of how consumers can both opt-in and withdraw from the program; and.

Privacy 60
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CCPA In-Depth Series: Draft Attorney General Regulations on Verification, Children’s Privacy and Non-Discrimination

Data Matters

Critically, while some of the regulation’s provisions are required, many of the specific procedures are crafted with safe harbor language, advising on what a business “may” do to verify certain categories of consumers. Special Rules Regarding Minors (Article 5). Minors Under 13-Years-Old (§ 998.330).

Privacy 60
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Cybersecurity: Managing Risks With Third Party Companies

Cyber Info Veritas

Operational risk – has to do with the losses brought about by failed or inadequate systems, people, internal processes or even from external events Strategic risk – has to do with the failure to execute proper business decisions in a way that matches the company’s strategic objectives.

Risk 40
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Join Our Webinar on November 16th: IGI & Preservica Address the Governance of Long-Term Digital Information

IGI

Every organization had at least a few categories of information that they keep long-term, whether that was 25+ years, permanently or indefinitely until a future trigger event. And more than a few of my clients had dozens of categories of content that internal and external stakeholders expect will be managed well into the future.

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CCPA In-Depth Series: Draft Attorney General Regulations on Consumer Requests

Data Matters

The business shall also evaluate the consumer’s request as a request for categories of information, with its more forgiving verification standard. the business or commercial purpose for which it sold or disclosed the category of personal information.

Sales 60
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ICYMI – Late December in privacy and cybersecurity

Data Protection Report

2. educational enrollment or opportunity; e. employment opportunities; f. financial or lending services; g. health-care services; h. housing; or i. insurance. The other four requirements were already present in New York’s General Business Law § 399-z. 7. a (Yes). 8. b.

Privacy 115