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OT-FPF-comformity-assessments-ebook_update2
[…] AI system developed with a view to placing it on the market or putting it into service under its own name or trademark, whether for payment or free of charge” (Article 3(e)) 11. Even if the provider is not the designer/ developer of the system, they still need to make sure that requirements are […]
FPF Youth Privacy Webinar – November 2023
[…] age.•Being challenged in NetChoice v. Griffin (PI granted Aug. 31)•Texas HB 1181•Requires any website that publishes “sexual material harmful to minors” to verify users’ identities•Being challenged in Free Speech Coalition v. Colmenero (PI granted Aug. 31) •Utah (SB 152)•Requires parental consent to minors’ use of social media and requires age verification government-issued ID•Other states: […]
Future of Privacy Forum and Leading Companies Release Best Practices for AI in Employment Relationships
[…] fitness for purpose; Organizations should implement AI governance frameworks informed by the NIST AI Risk Management Framework; Organizations should not claim that AI hiring tools are “bias- free;” and AI hiring tools should be designed and operated with informed human oversight and engagement. “When properly designed and utilized, AI must process vast amounts of […]
Navigating Cross-Border Data Transfers in the Asia-Pacific region (APAC): Analyzing Legal Developments from 2021 to 2023
[…] seen a significant acceleration in data protection regulatory activity in recent years, including the enactment of new data protection laws. In particular, since 2021, China, Indonesia, Japan, South Korea, Thailand, and Vietnam have newly enacted or amended their data protection laws and regulations. An analysis of the data protection laws and regulations in these […]
How Data Protection Authorities are De Facto Regulating Generative AI
[…] key area of concern, as well as putting in place mitigation and monitoring measures to ensure personal data generated through such tools are accurate, complete and up-to-date, free from discriminatory, unlawful, or otherwise unjustifiable effects. Other areas of concern mentioned were transparency to promote openness and explainability; production of technical documentation across the AI […]
EU’s Digital Services Act Just Became Applicable: Outlining Ten Key Areas of Interplay with the GDPR
[…] The ten interplay areas we are highlighting are: Manipulative design in online interfaces; Targeted advertising based on sensitive data; Targeted advertising and protection of minors; Recommender systems free-of-profiling; Recommender systems and advertising transparency; Access to data for researchers and competent authorities; Takedown of illegal content; Risk Assessments; Compliance function and the DSA legal representative; […]