A New Domicile for Comprehensive Privacy in Delaware
On June 30, 2023, in the final hours of the Delaware legislative session, lawmakers in Dover passed House Bill 154, the Delaware Personal Data Privacy Act (“DPDPA”). If enacted by Governor Carey, the DPDPA will take effect on January 1, 2025 and follows the general model established by the Connecticut Data Privacy Act (CTDPA), with […]
We’re On to Oregon: Sixth State Privacy Law of 2023 Creates New Consumer Rights and Protections
On June 22nd, lawmakers in Salem passed SB 619, the Oregon Consumer Privacy Act (“OCPA”). If enacted by Governor Kotek, Oregon will become the eleventh U.S. state (and sixth in 2023) to adopt broad-based data privacy legislation governing the collection, use, and transfer of consumer data. The bulk of OCPA’s requirements will take effect on […]
Connecticut Shows You Can Have It All
On June 3rd, Connecticut Senate Bill 3 (SB 3), an “Act Concerning Online Privacy, Data and Safety Protections,” cleared the state legislature following unanimous votes in the House and Senate. If enacted by Governor Lamont, SB 3 will amend the Connecticut Data Privacy Act (CTDPA) to create new rights and protections for consumer health data […]
Tenn. Makes Nine? ‘Tennessee Information Protection Act’ Set to Become Newest Comprehensive State Privacy Law
On Friday April 21, Nashville lawmakers approved the Tennessee Information Protection Act (TIPA) following unanimous votes. Tennessee now joins Iowa, Indiana, and Montana as the four states in 2023 that have advanced baseline privacy legislation governing the collection, use, and transfer of consumer data. TIPA is closely modeled on the Virginia Consumer Data Protection Act […]
Workplace Discrimination and Equal Opportunity
Why monitoring cultural diversity in your European workforce is not at odds with GDPR Author: Prof. Lokke Moerel* The following is a guest post to the FPF blog from Lokke Moerel, Professor of Global ICT Law at Tilburg University and a lawyer with Morrison & Foerster (Brussels). The guest blog reflects the opinion of the […]
Public Comments Surface Fault Lines in Expectations for New California Privacy Law
In November 2020, California voters adopted the California Privacy Rights Act (“CPRA”) ballot initiative, which was developed to strengthen and expand upon the underlying California Consumer Privacy Act (“CCPA”) that the state legislature adopted in 2018. While the CPRA provides for significant new consumer rights and responsible data processing obligations on covered businesses, many questions […]
Event Recap: Dublin Privacy Symposium 2021, Designing for Trust: Enhancing Transparency & Preventing User Manipulation
Key Takeaways The biggest challenge to increase UX transparency may be encouraging people to make deliberate decisions from a UX design perspective. Even designers’ color and shape choices in UI can be subtle ‘dark patterns’ that might even prevent, e.g., color-blind users from understanding the options at hand. Organizations should ask themselves whether they should […]
Manipulative Design: Defining Areas of Focus for Consumer Privacy
In consumer privacy, the phrase “dark patterns” is everywhere. Emerging from a wide range of technical and academic literature, it now appears in at least two US privacy laws: the California Privacy Rights Act and the Colorado Privacy Act (which, if signed by the Governor, will come into effect in 2025). Under both laws, companies […]
Elise Berkower Memorial Fellow
FPF works to advance responsible data practices. Staffed with experts in law, technology, and public policy, FPF operates on the belief that technological innovation and new uses of data can help solve big societal problems and improve lives. Technological innovation must be accompanied by fresh privacy thinking, so that it is possible to build a […]
India: Proposed Data Regulation Overhaul Includes New Draft Rules for Processing Non-Personal Data
Authors: Sameer Avasarala ——- Disclaimers This guest post is by Sameer Avasarala, a Data Protection and Technology Lawyer in Bengaluru. The material/opinion expressed is exclusively that of the author alone and does not expresses the views of Cyril Amarchand Mangaldas or any other firm / organization that the author is associated with. He can be […]