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5 learnings from the “Meeting the CCPA Challenge” webinar

Collibra

Collibra recently partnered with Kelle O’Neal, CEO of First San Francisco Partners (FSFP), to host a joint webinar “ Meeting the CCPA Challenge ” about the complexities of the California Consumer Protection Act (CCPA) for the International Association of Privacy Professionals (IAPP). Right to access. Right to delete.

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France: The CNIL publishes a practical guide on Data Protection Officers

DLA Piper Privacy Matters

The guide is in line with the Article 29 Working Party Guidelines on Data Protection Officers (WP 243 rev 01) , but provides additional insights and practical guidance to organizations that designate a DPO in respect of GDPR and French data protection act requirements. Be the point of contact on GDPR issues. i) Appointment of the DPO.

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

IGI

Please join the IGI and Preservica on November 16th at 11am ET for a webinar addressing The Governance & Preservation of Long-Term Digital Information. Barclay Blair, Founder and Executive Director, Information Governance Initiative (IGI). CLICK HERE TO REGISTER. Lori Ashley, Industry Market Development Manager, Preservica.

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Schrems II: AG deems SCCs valid but comes up with difficult new obligations and expresses “doubts” over privacy shield

Data Protection Report

the safeguards around US surveillance measures are equivalent to those under GDPR, read in light of articles 7 and 8 of the Charter; and. Get out your article 30 register of processing activities and identify where you are relying on SCCs and the Privacy Shield, for both internal and external data transfers. Perhaps a little.

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Schrems II: AG deems SCCs valid but comes up with difficult new obligations and expresses “doubts” over privacy shield

Data Protection Report

the safeguards around US surveillance measures are equivalent to those under GDPR, read in light of articles 7 and 8 of the Charter; and. Get out your article 30 register of processing activities and identify where you are relying on SCCs and the Privacy Shield, for both internal and external data transfers. Perhaps a little.

Privacy 40