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The PrivaSeer Project in 2023: Access to 1.4 million privacy policies in one searchable body of documents
[…] since become an evolving, publicly available search engine of more than 1.4 million privacy policies. PrivaSeer is designed to make privacy policies transparent, discoverable, and searchable, for use by researchers in the privacy field as well as privacy practitioners in the marketplace. PrivaSeer supports searches of a corpus of privacy policies collected from the […]

A Blueprint for the Future: White House and States Issue Guidelines on AI and Generative AI
Since July 2023, eight U.S. states (California, Kansas, New Jersey, Oklahoma, Oregon, Pennsylvania, Virginia, and Wisconsin) and the White House have published executive orders (EOs) to support the responsible and ethical use of artificial intelligence (AI) systems, including generative AI. In response to the evolving AI landscape, these directives signal a growing recognition of […]

FPF and The Dialogue Release Collaboration on a Catalog of Measures for “Verifiably safe” Processing of Children’s Personal Data under India’s DPDPA 2023
[…] risks of processing their personal data for children and their best interests via thorough assessments. 10. Ensure the accuracy of the personal data of children held. 11. Use and retain personal data of children considering their best interests. 12. Adopt policies regarding how children’s data may be safely shared. 13. Give children options in […]

ICYMI: FPF Webinar Discussed The Current State of Kids’ and Teens’ Privacy
[…] consent practices in the U.S., noting that, at least in the U.S., age assurance and parental consent “are really two different things.” When it comes to children’s use of online services under federal law, there is no requirement to verify the age of users. Rather, the U.S. requirement is to obtain consent from someone […]

FPF Statement on Biden-Harris AI Executive Order
[…] Biden-Harris AI plan is incredibly comprehensive, with a whole of government approach and with an impact beyond government agencies. Although the executive order focuses on the government’s use of AI, the influence on the private sector will be profound due to the extensive requirements for government vendors, worker surveillance, education and housing priorities, the […]

FPF Submits Comments to the FEC on the Use of Artificial Intelligence in Campaign Ads
On October 16, 2023, the Future of Privacy Forum submitted comments to the Federal Election Commission (FEC) on the use of artificial intelligence in campaign ads. The FEC is seeking comments in response to a petition that asked the Agency to initiate a rulemaking to clarify that its regulation on “fraudulent misrepresentation” applies to […]

Survey of Current Universal Opt-Out Mechanisms
[…] information sent via cookies. Historically, a significant practical hurdle existed in the implementation of opt-out rights: users wishing to exercise the right to opt out of the use of this information for targeted advertising must locate and manually click opt-out links that businesses provide on their web pages, and they generally must do so […]

FPF Weighs In on the Responsible Use and Adoption of Artificial Intelligence Technologies in New York City Classrooms
[…] following recommendations for the responsible adoption of artificial intelligence technologies in the classroom: Establish a common set of principles and definitions for AI, tailored specifically to educational use cases; Identify AI uses that pose major risks – especially tools that make decisions about students and teachers; Create rules that combat harmful uses of AI […]

Future of Privacy Forum and Leading Companies Release Best Practices for AI in Employment Relationships
[…] employment decisions. Organizations are incorporating AI tools into their hiring and employment practices at an unprecedented rate. When guided by a framework centered on responsible and ethical use, AI hiring tools can help match candidates with relevant opportunities and inform organizations’ decisions about who to recruit, hire, and promote. However, AI tools present risks […]

How Data Protection Authorities are De Facto Regulating Generative AI
[…] harms to privacy, data protection, and other fundamental human rights if not properly developed and regulated.” The key areas of concern highlighted in the Statement considered the use of personal data at various stages of developing and deploying AI systems, including a focus on datasets used to train, validate, and test generative AI models, […]