2026 FPF Sponsorship Prospectus
[…] leader with an internationally respected organization COMMUNITY Increased visibility within the global data protection and privacy community ACCESS Connect with senior level privacy professionals, from a significant number of Fortune 500 companies, with purchasing influence and authority Please contact [email protected] for more information. 2 FPF SPONSORSHIP PROSPECTUS 2026 Sponsor recognition (event website, communications, & […]
Brussels Privacy Symposium 2025 Report
T he Fu tu re of Priv a cy Fo ru m I n Euro pe, th e Fu tu re of Priv a cy Fo ru m (F P F) is an in d ep end ent vo ic e , main ta in in g ne utr a lit y i n an […]
Comparison of COPPA 2.0
[…] (ii) a home or other physical address including street name and name of a city or town; (C) (iii) an e -mail address; (D) (iv) a telephone number; (E) (v) a Social Security number; (F) [moved to end of list] (G) information concerning the child or the parents of that child that the website […]
FPF Holiday Gift Guide for AI-Enabled, Privacy-Forward AgeTech
[…] correct their personal data; and provide special protections for sensitive data, such as biometric identifiers, precise geolocation, and certain financial identifiers. In 2025, state legislatures passed a number of AI-focused bills that covered issues such as chatbots, deepfakes, and more. These existing and proposed regulations may have impacts on AgeTech design and practices, as […]
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GPA 2025: AI development and human oversight of decisions involving AI systems were this year’s focus for Global Privacy regulators
[…] by the Office of the Australian Information Commissioner and co-sponsored by 15 other GPA member authorities. The GPA resolved to four specific steps after articulating a greater number of underlying concerns – specifically, that: The collection, use and disclosure of personal data for the pre-training, training, and fine tuning of AI models is within […]
FPF ANPR Comment 10 17_submitted
[…] elements for an entity to qualify as a representative. FPF again believes that the final rule addresse s the question properly. First, t he rule includes a number of required steps and interactions that must be taken between the data provider, consumer, and third party that cover authentication, authorization, and operations . These activities […]
Understanding the New Wave of Chatbot Legislation: California SB 243 and Beyond
[…] to crisis helplines. These protocols must be publicly available on the operator’s website and annually reported to the California Office of Suicide Prevention, including data on the number crisis referrals but no personal user information. Safeguards for Minors: When an operator knows a user is a minor, the law also requires operators to disclose […]
The Draghi Dilemma: The Right and the Wrong Way to Undertake GDPR Reform
[…] work better for individuals, which Draghi does not mention at all. The EU institutions, with input from the European Data Protection Board, should agree on a limited number of clearly-defined priorities to be dealt with in any reform. Any changes that affect the fundamental principles of the GDPR or reduce the level of protection […]
FPF_CCPA Regulations Issue Brief
[…] • Where PD of vulnerable natural persons, in particular of children, are processed; or • Where processing involves a large amount of PD and affects a large number of data subjects. Recital 75. California and Colorado have a slight difference in approach tied to the triggers for an assessment (see above). For example, Colorado […]