Last week has seen two important developments in relation to the EU-U.S. Privacy Shield (“Privacy Shield”) for transfers of personal information from Europe to the United States. A draft adequacy decision and related documentation for the Privacy Shield were released by the EU Commission on February 29, 2016, and are now being reviewed by the […]
European Union (EU)
UK Regulator Elaborates Plans for Extensive Guidance on GDPR Compliance
The UK Information Commissioner’s Office (“ICO”) has provided details on its plans to provide guidance to organizations on compliance with the European Union’s General Data Protection Regulation (“GDPR”), which will apply EU-wide as from 25 May 2018. The ICO’s work plan involves three overlapping “phases.” Over the next six months, priority outputs will include ICO […]
European Council Adopts the Network and Information Security Directive
On May 17, 2016, the European Council formally adopted its position at first reading of the Network and Information Security Directive (“NIS Directive”). The objective of the NIS Directive is to increase cooperation between EU Member States on issues of network and information security. Companies subject to the NIS Directive are required to adopt “appropriate […]
European Data Protection Supervisor Issues Information Security Risk Management Guidance for E.U. Institutions
The European Data Protection Supervisor (“EDPS”) Giovanni Buttarelli issued a guidance document on data security and risk management for the E.U. institutions (such as the European Parliament, the European Council, and the Council of the European Union) on March 21, 2016. Although aimed at E.U. institutions, the document may nonetheless become a source of guidance […]
Alston & Bird Issues Cyber Alert on the EU Network Information Security Directive
This morning, Alston & Bird partner Jim Harvey issued an Advisory on the EU’s forthcoming Network Information Security Directive (“NIS Directive”). National laws passed to implement the NIS Directive will impose substantial new compliance responsibilities on providers of “essential services,” as well as on a broad range of “digital service providers”—potentially even if a digital […]