The Office of the Personal Data Protection Committee (the “PDPA Committee”) published a draft regulation issued under the Personal Data Protection Act (2019) (the “PDPA”) relating to the cross-border transfer of personal data outside of Thailand (the “Draft Regulation”) on its web...
This article seeks to describe the present status of trans-border data flow regulation in Norway and provoke reflection about its operation and effectiveness based on a qualitative study of three Norwegian companies. It examines legal issues about personal data transfer to countries outside the EEA,...
This chapter outlines the Romanian data protection legal regime governing the cross-border transfers of personal data, both to countries located in the European Union (EU) or in the European Economic Area (EEA), as well as to non-EU or non-EEA countries. In addressing the Romanian legal requ...
and 8.8 (Module 3) concerning "Subsequent Transfers," is provided an exhaustive list of cases when the importer may disclose personal data to a third party. However, we reasonably believe that it should be completed with the following text: ”the subsequent transfer is allowed in the ...
The Guangzhou Internet Court released the first ruling interpreting the requirements for cross-border transfer of personal information under the Personal Information Protection Law (PIPL). This case has significant implications for companies handling per
The Order and ANPRM mark a significant shift in the U.S. government’s regulation of personal data and empower the DOJ to implement a comprehensive regulatory structure to address the issue of bulk data transfer to entities t...
of “transfer” of personal data and (ii) overseas developments on restrictionofcross-border transferofpersonal data. legco.gov.hk legco.gov.hk 公署已向政制及內地事務局提交了一份研究文件,以供考慮一些實際 的施行問題,例如(i)何謂「轉移」個人資料及(ii)有關限制個人資料跨境轉移的海外進展。
and marketing, or other activities, which do not include any personal information or important data, are exempt from the designated pathways. The cross-border transfer of personal information that is not collected or generated within ...
2) The scale, scope, categories and sensitivity of cross-border transferred data, and assessment of the risk to the legitimate rights and interests of personal information subjects that may be caused by cross-border PI transfer; 3) Whether the responsibilities and obligations promised and undertaken...
China established the compliance framework for cross-border data transfer when China’s Personal Information Protection Law(《中华人民共和国个人信息保护法》)(the“PIPL”) came into effect on Nov. 1, 2021. Based on the sensitivity, importance and volume of personal information (“PI”)...