On October 12, 2020, the California Department of Justice (“Department”) released its first set of proposed post-finalization modifications to the California Consumer Privacy Act Regulations (the “CCPA Regulations”). As many businesses know, the … [Read more] about California Department of Justice Releases Post-Finalization Modifications to CCPA Regulations
New Privacy Browser Extension Released under CCPA Global Do Not Sell Rules
On October 7, 2020, an organization named Global Privacy Control (“GPC”) issued a press release announcing an initiative to make a new “global privacy control” available to consumers as contemplated by the CCPA Regulations. As analyzed in prior … [Read more] about New Privacy Browser Extension Released under CCPA Global Do Not Sell Rules
FinCEN Alerts Financial Institutions on Role in Facilitating Ransomware Attacks
With an increase in the frequency, sophistication, and cost of ransomware attacks, the Financial Crimes Enforcement Network (FinCEN) issued an advisory on October 1, 2020 alerting financial institutions to ransomware trends and typologies, and … [Read more] about FinCEN Alerts Financial Institutions on Role in Facilitating Ransomware Attacks
OFAC Ransomware Advisory Warns Companies of Potential Civil Liability
Yesterday, October 1, 2020, the U.S. Department of the Treasury’s Office of Foreign Assets Control (OFAC) issued its “Advisory on Potential Sanctions Risks for Facilitating Ransomware Payments." The advisory begins with the observation that … [Read more] about OFAC Ransomware Advisory Warns Companies of Potential Civil Liability
U.S. Department of Commerce Releases White Paper to Assist Organizations in Conducting Schrems II Assessments
In a letter from Deputy Assistant Secretary James Sullivan, the U.S. Department of Commerce introduced a white paper, “Information on U.S. Privacy Safeguards Relevant to SCCs and Other EU Legal Bases for EU-U.S. Data Transfers after Schrems II,” to … [Read more] about U.S. Department of Commerce Releases White Paper to Assist Organizations in Conducting Schrems II Assessments