A lack of implementation regulations and general clarity around China’s Personal Information Protection Law is creating potential compliance burdens. This is especially true with understanding conditions for cross-border data transfers under Article 38 of the PIPL. AnJie Law Firm's Samuel Yang, Christopher Fung and Leann Wu explored the potential use of transfer rules from China's National Information Security Standardization Technical Committee and how they may fit Article 38's legal path for transfers through certification measures.
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