FPF – Brussels Privacy Symposium 2025 Report NEW
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 […]
17th Annual Advisory Board Meeting 2026
[…] and check-out time is 12:00pm the day of departure. Transportation Information Yours Truly DC Hotel is located at 1143 New Hampshire Ave NW, Washington, DC 20037. Car Service: For traveling guests who need to arrange transportation from Dulles International Airport (IAD) or Washington National (DCA), we recommend booking through rideshare services (Uber, Lyft, Taxis). […]
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 […]
FPF releases Issue Brief on Brazil’s Digital ECA: new paradigm of safety & privacy for minors online
[…] law applies to all information technology products and services aimed at or likely to be accessed by minors, with extraterritorial application. “Likelihood of access” of a technology service or product as a novel standard, composed of three elements: attractiveness, ease of use, and potential risks to minors. Provisions governed by the principle of the […]
Issue Brief – Brazil’s Digital ECA
4 I S SU E BRIE F GLO BA L B ra zil’s Dig it a l EC A : N ew Para d ig m of Safe ty & Priv a cy fo r M in o rs Onlin e A uth o r: Maria Bad illo , Fu tu re of Priv a […]
What’s New in COPPA 2.0? A Summary of the Proposed Changes
[…] the law’s obligations when they have actual knowledge that they are collecting the personal information of children under 13 or when they operate a website or online service that is directed towards children. The House version of COPPA 2.0 would establish a two-tiered standard that largely maintains the actual knowledge threshold for operators, except […]
Comparison of COPPA 2.0
[…] specific child or teen over time and across different websites, online services, online applications, or mobile applications, that— (I) including but not limited to includes (aa) a customer number held in a cookie; (bb) an Internet Protocol (IP) address ; (cc) a processor or device serial number ; or and (dd) a unique device […]
Student Privacy Pledge
[…] minimum requirements of the Pledge. Many of these laws require the district to enter into a contract or data protection agreement before sharing education records with a service provider. It has become clear that edtech companies and educators are increasingly focused on several privacy-adjacent issues, including data breach mitigation, cybersecurity, and artificial intelligence. Recently, […]
FPF Submits Comments on Personal Financial Data Rights Reconsideration
The Future of Privacy Forum (FPF), was pleased to provide comments and recommendations regarding the CFPB’s Advance Notice of Proposed Rulemaking (ANPR) for its Personal Financial Data Rights Reconsideration. FPF appreciates that the CFPB in its ANPR is exploring certain significant components of the final rule, with a view to improve the regulation for consumers […]
FPF ANPR Comment 10 17_submitted
[…] providers and the rule. Consumers need access to ac curate data from sources of truth – account issuers – not pass -through digital wallets that don’t hold customer accounts. Including them in the final rule add s unnecessary complexity for little benefit , and in our review this was the consensus view across commenters […]