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OT-FPF-comformity-assessments-ebook_update2
[…] PROPOSED EU AI ACT | 2 DISCLAIMER: Copyright © 2023 Future of Privacy Forum and OneTrust LLC. Please contact Future of Privacy Forum or OneTrust for questions about commercial use of this publication. The contents of this document are subject to revision without notice due to continued progress in methodology, design, and manufacturing. OneTrust LLC […]
OT-FPF-ca-report-infographic-digital_update2
[…] When to perform a CA? EX ANTE Before placing the AI system on the EU market or putting it into service (definitions in Art 3(9,11)) EX POST IF Afer placing the AI system on the EU market or putting it into service: Substantial modification to the AI system• NEW AI system • NEW CA required IF reasons of public security or the protection of life and health of persons, environmental protection, and the protection of key industrial and infrastructural assets high-risk AI system placed on the market without a prior CA. (Art 47) Continued overleaf AI system that continues to learn + pre-determined changes documented in the initial CA no new CA required. 1200 Abernathy Rd NE, Building 600 | Atlanta, Georgia | United States | 30328 Atlanta | London | Bangalore | Melbourne | Denver| Seattle | San Francisco | New York | São Paulo | Munich | Paris | Hong Kong | Bangkok As society redefines risk and opportunity, OneTrust empowers tomorrow’s leaders to succeed through trust and impact with the Trust Intelligence Platform. The market-defining Trust Intelligence Platform from OneTrust connects privacy, GRC, ethics, and ESG teams, data, and processes, so all companies can collaborate seamlessly and put trust at the center of their operations and culture by unlocking their value and potential to thrive by doing what’s good for people and the planet. Copyright © 2023 Future of Privacy Forum and OneTrust LLC. Please contact Future of Privacy Forum or OneTrust for questions about commercial use of this publication. Step 3 What body is conducting the CA? INTERNAL CA THIRD-PARTY CA PROVIDER (or any other responsible actor) NOTIFIED BODY (NB) ANNEX VI AIA – Quality Management System (Art 17) – Technical documentation (Art 11) and verification of compliance with the Requirements of Title III, Chapter 2 – Design & development process is consistent with the technical documentation – Post-market monitoring (Art 61) is consistent with the technical documentation ANNEX VII AIA – Assesses the Quality Management System (Art 17) – Assessed the Technical documentation (Art 11) Provider submits two applications to the NB 1. For the QMS 2. For the TD NB: Assesses the application Communicates the results to the Provider: The high-risk AI system is in conformity with […]
Protected: Protected: U.S. Legislative Resources
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EU’s Digital Services Act Just Became Applicable: Outlining Ten Key Areas of Interplay with the GDPR
[…] subcategory of the wide spectrum of intermediary services. Importantly, the DSA specifies that the ban on dark patterns does not apply to practices covered by the Unfair Commercial Practices Directive (UCPD) or the GDPR. Article 25(3) of the DSA highlights that the Commission is empowered to issue guidelines on how the ban on manipulative […]
Data Sharing for Research: A Compendium of Case Studies, Analysis, and Recommendations
[…] SUMMARY Corporate data-sharing partnerships offer compelling benefits to companies, researchers, and society to drive progress in a broad array of fields. However, organizations have long faced complex commercial, legal, ethical, and reputational risks that accompany the activity and act as disincentives to sharing data for academic research. This report contains eight case studies that […]
FPF Files Comments for the FTC Health Breach Notification Rule Addressing Specific Definitions and Clarity of Scope
[…] to Clearly Expand Protections for a Broad Spectrum of Personal Information Define “Relates to” to Include the Creation of Health-Related Inferences from a Wide Range of Routine Commercial Datasets, While Establishing Clear Obligations for Businesses Establish Clear Guidelines for Intentional Data Sharing that Does Not Require Affirmative Consent Ensure that the Rule Contains “Good […]
Spectrum of AI Report
[…] primary foundations for AI: to further advance human knowledge and to improve human lives. AI is key to the future of knowledge in many scientific disciplines and commercial technologies but carries accompanying risks that it will be applied unethically, or designed unfairly, and that individuals and groups will be worse off in specific or […]
FPF-AIEcosystem-Report-Jun23-R4-Digital
[…] primary foundations for AI: to further advance human knowledge and to improve human lives. AI is key to the future of knowledge in many scientific disciplines and commercial technologies but carries accompanying risks that it will be applied unethically, or designed unfairly, and that individuals and groups will be worse off in specific or […]
U.S. Privacy Landscape – September 19, 2023
[…] staff experts design the sessions for professionals who develop policies for their organizations, work with clients on complex privacy issues, or those interested in emerging privacy topics. Commercial privacy in the United States can be a complicated maze of state and federal laws and agency enforcement. Weave in international data flows, such as EU-U.S. […]
Nigeria’s New Data Protection Act, Explained
[…] regardless of whether it touches on the person’s right to privacy or not. Therefore, there are instances where personal data processing activities of a non-professional and non- commercial nature may fall under the ambit of the law. The rationale for this condition is not clear. Other exemptions include processing activities by law enforcement during […]