The PrivaSeer Project in 2023: Access to 1.4 million privacy policies in one searchable body of documents
In the summer of 2021, FPF announced our participation in a collaborative project with researchers from the Pennsylvania State University and the University of Michigan to develop and build a searchable database of privacy policies and other privacy-related documents, with the support of the National Science Foundation. This project, PrivaSeer, has since become an evolving, […]
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 the […]
Verifiably safe processing of childrens personal data under the DPDPA 2023 A Catalogue of Measures2
тАЬV er if ia bly s a fe тАЭ p r oces sin g o f c h il d ren тАЩs p er so n a l da ta u n der t h e D PD PA 2 0 23 : A C a ta lo g o f M ea su r […]
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E-BOOK | NOVEMBER 2023 Conformity Assessments Under the proposed EU AI Act: A Step-By-Step Guide Authors: Katerina Demetzou, Vasileios Rovilos Editors: Gabriela Zan-r-Fortuna, Rob van Eijk, Andrew Clearwater, Alexis Katei-des Copyeditor: Alexander Thompson CONFORMITY ASSESSMENTS UNDER THE PROPOSED EU AI ACT | 2 DISCLAIMER: Copyright © 2023 Future of Privacy Forum and OneTrust LLC. Please contact […]
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EU AIA Conformity Assessment: A step-by-step guide Step 1 Am I obligated to perform a CA? Q1 Do I fall under the AIA? YES Q2 Is it a ‘high-risk’AI system? YES Q3 Am I the provider? YES NO Material scope: Art 2 Is it an ‘AI system’ as per Art 3(1)? See Table 1 Classification of High-risk AI systems under the AIA AI systems that are safety components of products or are themselves products that fall under Annex II AI Systems that belong to the use cases of Annex III + (EC) the output of the system is not purely accessory & is likely to lead to significant risks / (EP) significant risk of harm. NO Article 3(e) product manufacturer / distributor / importer / user / third-party responsible to perform the CA Step 2 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 […]
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
Today, the Future of Privacy Forum (FPF) and The Dialogue released a Brief containing a Catalog of Measures for “Verifiably Safe” Processing of Children’s Personal Data Under India’s Digital Personal Data Protection Act (DPDPA) 2023. When India’s DPDPA passed in August, it created heightened protections for the processing of personal data of children up to […]
ICYMI: FPF Webinar Discussed The Current State of Kids’ and Teens’ Privacy
Privacy by design for kids and teens has expanded across the globe. As policymakers, advocates, and companies grapple with the ever-changing landscape of youth privacy regulation, the Future of Privacy Forum recently hosted a webinar discussing the current state of kids’ and teens’ privacy policy. The webinar explored the current frameworks that are influential worldwide, […]
FPF Youth Privacy Webinar – November 2023
The Current State of Kids’ and Teens’ Privacy Future of Privacy Forum November 7, 2023 Phyllis H. MarcusHunton Andrews Kurth LLP(202) [email protected] 7, 2023The Children’s Privacy and Safety Landscape Who Are the Actors? PRIVILEGED AND CONFIDENTIAL5Children’s Privacy and Safety OversightA highly fragmented set of laws, set by: •U.S. States •U.S. Federal Trade Commission •U.S. Congress […]
Sponsorship Offerings at FPF
The Future of Privacy Forum (FPF) is a global non-profit organization that brings together industry, academics, civil society, policymakers, and other stakeholders to explore the challenges posed by technological innovation and develop privacy protections, ethical norms, and workable business practices. We are an independent and pragmatic voice for privacy regulation and take on the tough issues […]
FPF-Sponsorship Prospectus
SPONSORSHIP PROSPECTUS FPF SPONSORSHIP PROSPECTUS | 1 Please contact Alyssa Rosinski at [email protected] for more information. Why Sponsor with FPF? Sponsorships allow us to : ❱ FPF brand associated with global thought leadership. ❱ Access to senior-level privacy professionals with purchasing influence and authority. ❱ Receive international visibility within the data protection and privacy community. […]