In the wake of the "Schrems II" decision, there is "no cookie cutter solution for receiving EU personal data in the U.S.," BBB National Programs wrote in a blog post. While transfer mechanisms are being examined, what has not been questioned are derogations under Article 49 of the EU General Data Protection Regulation. BBB National Programs reviews the European Data Protection Board’s guidelines on the derogations relevant to commercial transfers.
Full Story
Comments
If you want to comment on this post, you need to login.