Perkins on Privacy
Perkins on Privacy
Perkins on Privacy keeps you informed about the latest developments in privacy and data security law. Our insights are provided by Perkins Coie's Privacy & Security practice, recognized by Chambers as a leading firm in the field.
CCPA & COVID-19: A Practical Guide to Addressing Privacy and Data Security Implications of the Coronavirus
Washington, New York, and Minnesota Introduce New Privacy Laws to Begin the New Year
It's a new year and it looks like 2021 is going to be another eventful one for privacy. In the past few weeks, we've seen several states introduce new privacy legislation, starting with Washington.
Business Solutions for CCPA Compliance
The California Consumer Privacy Act of 2018 (CCPA) is a sweeping new privacy statute that grants rights to consumers and imposes corresponding obligations on subject businesses.
CCPA Amendments Provide Important Clarification
CCPA 12-Month Compliance Series Part 6: Retaining and Deleting Data
Compliance Challenges for Brick-and-Mortars Under the CCPA
As we approach the California Consumer Privacy Act's (CCPA) effective date of January 1, 2020, brick-and-mortar businesses that increasingly engage with consumers online will have to begin their compliance efforts.
Pseudonymized Personal Information on Blockchain Not Sufficient Under CCPA
CCPA 12-Month Compliance Series Part 5: Responding to Consumer Requests
- An abbreviated right to disclosure regarding PI collected (§1798.100)
- An expanded right to disclosure regarding PI collected (§1798.110(a))
- Right to disclosure regarding PI sold or discl
I Am Robot: California’s New Law Requires Disclosure of Use of Bots
CCPA 12-Month Compliance Series Part 4: Update Your Privacy Policy
Promoting and Regulating Artificial Intelligence
Takeaways from CA Senate Judiciary Hearing on Bill That Would Expand CCPA’s Private Right of Action
Six Phases of Compliance for a Comprehensive Privacy Program
CCPA 12-Month Compliance Series Part 3: Conduct a Gap Analysis
After conducting a data inventory (see Part 2 of our CCPA series), a business should assess its risks by benchmarking its policies